Taxation of intercompany dividens under tax treaties and EU law.

Door: Maisto, Guglielmo (ed.)


  • ISBN: 9789087221393
  • Uitgever: Amsterdam : IBFD, 2012. Hardcover. Dustjacket. xlii,1050 pp. 24 cm. (EC and international tax law series, 8). Conditie: als nieuw
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  • Details: Conditie: als nieuw. RECHT
  • Extra informatie: - Dispute Resolution under Tax Treaties and Beyond is a detailed and comprehensive study on tax dispute resolution mechanisms, with a specific focus on tax treaty disputes. A detailed and comprehensive study on tax dispute resolution mechanisms, with a specific focus on tax treaty disputes. It includes the reports presented at the annual conference held in Milan in November 2022, together with four selected issues addressed solely in ad hoc contributions delivered by younger academics and practitioners and individual country reports. First, the book thoroughly examines the mutual agreement procedure (MAP) and arbitration under article 25 of the OECD Model. Beginning with article 25(1), the book first focuses on (i) persons entitled to make a MAP request; (ii) cases that can be the subject of a MAP request; and (iii) acceptance or denial of a MAP request and related remedies. The book then moves to article 25(2), where interaction between MAP and domestic procedures and involvement of domestic courts in the MAP process are scrutinized. The book then highlights the differences between the MAP provided for by article 25(1) and (2) and those provided for by article 25(3) and the interpretative value of MAPs concluded under paragraph 3. The way in which competent authorities may consult together for the resolution by mutual agreement of a case under article 24(4) is also examined. The scope of arbitration under the OECD and UN Model provisions is also discussed, including an in-depth analysis of the coordination with the EU Dispute Resolution Directive and the EU Arbitration Convention. Furthermore, the book deals with the resolution of disputes arising from the interpretation and application of the GloBE rules relating to Pillar Two, as well as suggestions to improve taxpayers’ rights in the context of both MAPs and tax treaty arbitration and, more in general, to improve the whole procedure by drawing inspiration from dispute resolution mechanisms adopted in other domestic or non-tax treaty rules.
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