Dependent Agents As Permanent Establishments PDF Download

Are you looking for read ebook online? Search for your book and save it on your Kindle device, PC, phones or tablets. Download Dependent Agents As Permanent Establishments PDF full book. Access full book title Dependent Agents As Permanent Establishments.

Dependent Agents as Permanent Establishments

Dependent Agents as Permanent Establishments
Author: Michael Lang
Publisher: Linde Verlag GmbH
Total Pages: 452
Release: 2014-07-04
Genre: Law
ISBN: 3709405432

Download Dependent Agents as Permanent Establishments Book in PDF, ePub and Kindle

Dependent Agents as Permanent Establishments The article on business profits may be the most relevant one in tax treaties. If patterned after the OECD Model Tax Convention, this article allocates the exclusive taxing right over the profits of an enterprise to the residence country, unless the enterprise carries on business in the source country through a permanent establishment. Considering the importance of allocating taxation rights, tax authorities and courts of many countries have increasingly focused on the concept of agency permanent establishment. This book includes 12 chapters which provide an in-depth analysis of the key aspects that need to be taken into account for interpreting the concept of agency permanent establishment. It incorporates the perspectives of leading scholars and practitioners dealing with international tax cases. This book is designed to provide essential insights to academics, practitioners, tax officials and judges who deal or are interested in the field of international taxation.


Fundamentals of Permanent Establishments

Fundamentals of Permanent Establishments
Author: Robert L. Williams
Publisher: Kluwer Law International
Total Pages: 0
Release: 2014
Genre: Law
ISBN: 9789041149480

Download Fundamentals of Permanent Establishments Book in PDF, ePub and Kindle

This book provides an insight into business structuring and the related tax considerations. It covers all important aspects of fixed place of business and dependent agency types of PE, as well as the exceptions for independent agents, permitted ancillary activities, and parent-subsidiary relationships. It provides commentary on applicable rules and discusses regulations and case law from multiple jurisdictions. This new edition has entirely new chapters on e-commerce, supply chain and contract manufacturing structures and service PEs; updates of model treaty changes and PE rulings globally; and features implications of new developments in mineral extraction, real estate leasing and construction management. The book identifies key PE rulings not only in OECD countries, but also in the emerging BRIC countries.


A Unified Approach to Permanent Establishment by Agent in the U.S.

A Unified Approach to Permanent Establishment by Agent in the U.S.
Author: Martin B. Tittle
Publisher:
Total Pages: 0
Release: 2007
Genre:
ISBN:

Download A Unified Approach to Permanent Establishment by Agent in the U.S. Book in PDF, ePub and Kindle

Permanent establishment (PE) is a tax treaty concept that raises the bar for taxation of foreign companies that do business in the United States. A PE is usually defined as a fixed place of business, like an office or factory. However, a PE can also be created in the absence of a fixed place of business by an agent if the agent is other than an agent of independent status. For linguistic convenience, such agents are usually called dependent agents. The rules regarding dependent and independent agents are typically set forth in separate paragraphs in a tax treaty, and dependent and independent agents are usually discussed and analyzed as if they were separate concepts. That approach is less than ideal because it leaves the reader to cobble together the dividing line between the two. This article illustrates a unified approach to the issue of agency PE using Article V of the current, 1980 U.S.-Canada tax treaty as a case study.


The Independent Agent Exception and Group Membership

The Independent Agent Exception and Group Membership
Author: Jérôme Monsenego
Publisher:
Total Pages:
Release: 2018
Genre:
ISBN:

Download The Independent Agent Exception and Group Membership Book in PDF, ePub and Kindle

This article considers the independent agent exception to the dependent agent permanent establishment rule in income tax treaties. The author analyses the impact of group membership on the availability of the independent agent exception under the 2014 and 2017 versions of Article 5(6) the OECD Model Tax Convention. Whereas the 2014 version did not explicitly take into consideration group membership for the application of the independent agent exception, the 2017 update marks a shift in policy as the quasi-exclusivity of the action of an agent on behalf of closely related enterprises now excludes the independent agent exception. After analysing in depth the Commentary on the two versions of Article 5(6) of the OECD Model, the policy reasons justifying this shift are investigated, in particular the possible presumption of tax avoidance that seems to be pinned on multinational enterprises. The author emphasises how the change brought to Article 5(6) relates to the lower threshold for a dependent agent PE under the new Article 5(5), the general principles of transfer pricing, and the additional guidance for the attribution of profits to permanent establishments. The author concludes that the change brought to Article 5(6) is mostly one of principle, but that to the extent that this amendment has a material effect on the taxation of multinational enterprises, it expresses more a tax policy concern than a need to prevent tax avoidance.


Switzerland in International Tax Law

Switzerland in International Tax Law
Author: Xavier Oberson
Publisher: IBFD
Total Pages: 457
Release: 2011
Genre: Double taxation
ISBN: 9087220987

Download Switzerland in International Tax Law Book in PDF, ePub and Kindle

"Switzerland has recently witnessed an unprecedented level of tax treaty negotiations. Although this is a direct result of Switzerland's revised position regarding exchange of information, a number of contracting states have taken this opportunity to modify tax treaty benefits and/or clarify certain aspects of tax treaty interpretation and application. These are considered extensively in this edition. As Switzerland has steadily aligned itself with international principles of international taxation, the self-imposed anti-abuse rules for the application of tax treaties have become less relevant. Nevertheless, Swiss courts have become more creative in determining where there is and where there is not treaty abuse. As a result, the 1962 Abuse Decree is making way for a more complex basket of anti-abuse rules and regulations"--Foreword (page vii).


Taxation of Bilateral Investments

Taxation of Bilateral Investments
Author: Carlo Garbarino
Publisher: Edward Elgar Publishing
Total Pages: 375
Release: 2019
Genre: Corporations
ISBN: 1788976894

Download Taxation of Bilateral Investments Book in PDF, ePub and Kindle

The OECD’s guidance on combatting tax avoidance strategies associated with Base Erosion and Profit Sharing (BEPS) methods is complex and accompanied by a wealth of literature. This book is the first to provide a concise and accessible overview of counter BEPS measures in the OECD Model and Commentary, allowing readers to gain a practical understanding of how the measures can impact the taxation of bilateral investments protected by tax treaties.


Preventing the Artificial Avoidance of Permanent Establishment Status

Preventing the Artificial Avoidance of Permanent Establishment Status
Author: OCDE,
Publisher: OCDE
Total Pages: 48
Release: 2015-10-22
Genre: Double taxation
ISBN: 9789264241213

Download Preventing the Artificial Avoidance of Permanent Establishment Status Book in PDF, ePub and Kindle

This report includes changes to the definition of permanent establishment in the OECD Model Tax Convention that will address strategies used to avoid having a taxable presence in a country under tax treaties. These changes will ensure that where the activities that an intermediary exercises in a country are intended to result in the regular conclusion of contracts to be performed by a foreign enterprise, that enterprise will be considered to have a taxable presence in that country unless the intermediary is performing these activities in the course of an independent business. The changes will also restrict the application of a number of exceptions to the definition of permanent establishment to activities that are preparatory or auxiliary nature and will ensure that it is not possible to take advantage of these exceptions by the fragmentation of a cohesive operating business into several small operations; they will also address situations where the exception applicable to construction sites is circumvented through the splitting-up contracts between closely related enterprises.


Dependent Agents as Permanent Establishments

Dependent Agents as Permanent Establishments
Author: Michael Lang
Publisher: Linde Verlag GmbH
Total Pages: 308
Release: 2014-07-04
Genre: Law
ISBN: 3709405424

Download Dependent Agents as Permanent Establishments Book in PDF, ePub and Kindle

Dependent Agents as Permanent Establishments The article on business profits may be the most relevant one in tax treaties. If patterned after the OECD Model Tax Convention, this article allocates the exclusive taxing right over the profits of an enterprise to the residence country, unless the enterprise carries on business in the source country through a permanent establishment. Considering the importance of allocating taxation rights, tax authorities and courts of many countries have increasingly focused on the concept of agency permanent establishment. This book includes 12 chapters which provide an in-depth analysis of the key aspects that need to be taken into account for interpreting the concept of agency permanent establishment. It incorporates the perspectives of leading scholars and practitioners dealing with international tax cases. This book is designed to provide essential insights to academics, practitioners, tax officials and judges who deal or are interested in the field of international taxation.


Attribution of Profits to Permanent Establishments

Attribution of Profits to Permanent Establishments
Author: Michael Lang
Publisher: Linde Verlag GmbH
Total Pages: 157
Release: 2020-04-08
Genre: Law
ISBN: 3709410576

Download Attribution of Profits to Permanent Establishments Book in PDF, ePub and Kindle

Attribution of Profits to Permanent Establishments: Issues and Developments The profit attribution to permanent establishments is one of the most controversial topics in international tax law. In recent years it was subject to various changes based on the introduction of the “Authorized OECD Approach” in 2008 and 2010, the outcomes of Final Report on OECD BEPS Action 7 and the Final Report on “Additional Guidance on the Attribution of Profits to a Permanent Establishment under BEPS Action 7” from 2018 (with the previous Discussion-Drafts). This publication discusses the most important issues and recent developments related to the attribution of profits to permanent establishments. Starting with an in-depth analysis on the commonalities and differences between the profit attribution provisions in modern double tax treaties (ie Art 7 AOA vs Art 9 OECD/UN Models), it further deals with topics such as profit attribution to PEs and PE exemptions (Art 5 para 4), profit attribution to agency PEs (Art 5 para 5 and 6), and profit attribution to a "significant economic presence" and to market states. This book is based on the outcomes of the presentations and discussions held during the WU Transfer Pricing Symposium that took place in October 2019 at the WU Vienna University of Economics and Business. The authors, apart from providing a theoretical background to the discussed issues, also present case studies that show how certain issues can be approached in practice. Every chapter ends with a summary of the opinions on the issues at stake of representatives of tax administrations, multinationals and tax advisories, which completes this essential practical guideline.