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OverviewAccording to the OECD, the majority of double taxation abuse lies in 'base erosion and profit shifting'. On 5 October 2015, the OECD therefore published BEPS Action 6, an action programme within the BEPS project, to bring about significant changes to the OECD Model Tax Convention and the OECD Model Tax Commentary with regard to its undesirable consequences. BEPS Action 6 aims to reduce tax abuse by introducing anti-abuse provisions, including a 'principal purpose test' to be carried out. This paper deals with the scope of application of these anti-abuse provisions. In particular, it focuses on the very atypical nature of the constituent elements that must be fulfilled. In addition, this paper explains phenomena such as 'treaty shopping' and 'hybrid mismatches' that arise from the application of double taxation agreements. Due to the recently published draft assessment of the Annual Tax Law 2018, the planned amendment to the abuse provision of Section 22 BAO will be presented and explained in conclusion. Full Product DetailsAuthor: Alois Wolfgang LamplPublisher: Our Knowledge Publishing Imprint: Our Knowledge Publishing Dimensions: Width: 15.20cm , Height: 0.40cm , Length: 22.90cm Weight: 0.095kg ISBN: 9786200720870ISBN 10: 6200720878 Pages: 60 Publication Date: 27 July 2025 Audience: General/trade , General Format: Paperback Publisher's Status: Active Availability: Available To Order We have confirmation that this item is in stock with the supplier. It will be ordered in for you and dispatched immediately. Table of ContentsReviewsAuthor InformationTab Content 6Author Website:Countries AvailableAll regions |
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