Model Tax Convention on Income and on Capital: Volume I and II (Updated 21 November 2017) 1st Edition by Organisation for Economic Co-operation and Development: Committee on Fiscal Affairs – Ebook PDF Instant Download/Delivery: 9264303782, 978-9264303782
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ISBN 10: 9264303782
ISBN 13: 978-9264303782
Author: Organisation for Economic Co-operation and Development: Committee on Fiscal Affairs
Model Tax Convention on Income and on Capital: Volume I and II (Updated 21 November 2017) 1st Edition:
This publication is the tenth edition of the full version of the OECD Model Tax Convention on Income and on Capital. This full version contains the full text of the Model Tax Convention as it read on 21 November 2017, including the Articles, Commentaries, non-member economies’ positions, the Recommendation of the OECD Council, the historical notes and the background reports.
The full version of the OECD Model Tax Convention is published regularly to reflect updates.
Model Tax Convention on Income and on Capital: Volume I and II (Updated 21 November 2017) 1st Edition Table of contents:
Volume I
- Introduction
- A. Historical Background
- B. Influence of the OECD Model Convention
- C. Presentation of the Model Convention
- Model Convention
- Commentaries on the Articles of the Model Convention
- Commentary on Article 1
- Commentary on Article 2
- Commentary on Article 3
- Commentary on Article 4
- Commentary on Article 5
- Commentary on Article 6
- Commentary on Article 7
- Commentary on Article 8
- Commentary on Article 9
- Commentary on Article 10
- Commentary on Article 11
- Commentary on Article 12
- Commentary on Article 13
- Commentary on Article 14 [deleted]
- Commentary on Article 15
- Commentary on Article 16
- Commentary on Article 17
- Commentary on Article 18
- Commentary on Article 19
- Commentary on Article 20
- Commentary on Article 21
- Commentary on Article 22
- Commentary on Articles 23A and 23B
- Commentary on Article 24
- Commentary on Article 25
- Commentary on Article 26
- Commentary on Article 27
- Commentary on Article 28
- Commentary on Article 29
- Commentary on Articles 30 and 31
Non-OECD Economies’ Positions on the OECD Model Tax Convention
- Introduction
- Positions on Article 1 and its commentary
- Positions on Article 2 and its commentary
- Positions on Article 3 and its commentary
- Positions on Article 4 and its commentary
- Positions on Article 5 and its commentary
- Positions on Article 6 and its commentary
- Positions on Article 7 and its commentary
- Positions on Article 8 and its commentary
- Positions on Article 9 and its commentary
- Positions on Article 10 and its commentary
- Positions on Article 11 and its commentary
- Positions on Article 12 and its commentary
- Positions on Article 13 and its commentary
- Positions on Article 14 and its commentary [deleted]
- Positions on Article 15 and its commentary
- Positions on Article 16 and its commentary
- Positions on Article 17 and its commentary
- Positions on Article 18 and its commentary
- Positions on Article 19 and its commentary
- Positions on Article 20 and its commentary
- Positions on Article 21 and its commentary
- Positions on Article 22 and its commentary
- Positions on Articles 23A and 23B and its commentary
- Positions on Article 24 and its commentary
- Positions on Article 25 and its commentary
- Positions on Article 26 and its commentary
- Positions on Article 28 and its commentary
- Positions on Article 29 and its commentary
Volume II
- Previous Reports Related to the Model Tax Convention
- Transfer Pricing, Corresponding Adjustments and the Mutual Agreement Procedure
- The Taxation of Income Derived from the Leasing of Industrial, Commercial or Scientific Equipment
- The Taxation of Income Derived from the Leasing of Containers
- Thin Capitalisation
- Double Taxation Conventions and the Use of Base Companies
- Double Taxation Conventions and the Use of Conduit Companies
- The Taxation of Income Derived from Entertainment, Artistic and Sporting Activities
- Tax Treaty Override
- The 183 Day Rule: Some Problems of Application
- The Tax Treatment of Software
- Triangular Cases
- The Tax Treatment of Employees’ Contributions to Foreign Pension Schemes
- Attribution of Income to Permanent Establishments
- Tax Sparing: A Reconsideration
- The Application of the OECD Model Tax Convention to Partnerships
- Issues Related to Article 14 of the Model Tax Convention
- Restricting the Entitlement to Treaty Benefits
- Treaty Characterisation Issues Arising from E-Commerce
- Issues Arising Under Article 5 (Permanent Establishment) of the Model Tax Convention
- Cross-Border Income Tax Issues Arising from Employee Stock-Option Plans
- Improving the Resolution of Tax Treaty Disputes
- Application and Interpretation of Article 24 (Non-Discrimination)
- Tax Treaty Issues Related to REITs
- The Granting of Treaty Benefits with Respect to the Income of Collective Investment Vehicles
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Organisation for Economic Cooperation and Development Committee on Fiscal Affairs,Model Tax,Convention,Income,Capital