Wildy Logo
(020) 7242 5778
enquiries@wildy.com

Book of the Month

Cover of Construction Law

Construction Law

Price: £160.00

Lord Denning: Life, Law and Legacy



  


Welcome to Wildys

Watch


NEW EDITION
The Law of Rights of Light 2nd ed



 Jonathan Karas


Offers for Newly Called Barristers & Students

Special Discounts for Newly Called & Students

Read More ...


Secondhand & Out of Print

Browse Secondhand Online

Read More...


Article 12B UN Model Convention 2021: The UN’s Response to the Tax Challenges Arising From the Digitalization of the Economy. (eBook)


ISBN13: 9789403524887
Published: July 2024
Publisher: Kluwer Law International
Country of Publication: Netherlands
Format: eBook (ePub)
Price: £85.00
The amount of VAT charged may change depending on your location of use.


The sale of some eBooks are restricted to certain countries. To alert you to such restrictions, please select the country of the billing address of your credit or debit card you wish to use for payment.

Billing Country:


Sale prohibited in
Korea, [North] Democratic Peoples Republic Of

Due to publisher restrictions, international orders for ebooks may need to be confirmed by our staff during shop opening hours. Our trading hours are Monday to Friday, 8.30am to 5.00pm, London, UK time.


The device(s) you use to access the eBook content must be authorized with an Adobe ID before you download the product otherwise it will fail to register correctly.

For further information see https://www.wildy.com/ebook-formats


Once the order is confirmed an automated e-mail will be sent to you to allow you to download the eBook.

All eBooks are supplied firm sale and cannot be returned. If you believe there is a fault with your eBook then contact us on ebooks@wildy.com and we will help in resolving the issue. This does not affect your statutory rights.

This eBook is available in the following formats: ePub.

In stock.
Need help with ebook formats?




Also available as

The author thoroughly scrutinizes the article’s underlying principles, its individual provisions, the tax policy context that surrounds it, how it might be applied, and what its strengths and weaknesses are.

What’s in this book:

This book furnishes a paragraph-by-paragraph discussion of the article and examines its Commentary in extensive detail. The author’s in-depth analysis covers all aspects of the article and its significance, including the following:

  • how to reconcile the approach taken by Article 12B UN Model Convention with general principles underlying the coordination of taxing claims
  • legal and tax policy relation to other provisions of the UN Model Convention and to the OECD/Inclusive Framework Pillar One/Amount A
  • influence of developing countries in forums of international tax coordination
  • the value of country positions and minority views in Model Conventions
  • categories of digital services
  • the novel option for annual net taxation in Article 12B(3) UN Model Convention, and
  • the proposal for a UN fast-track instrument

How this will help you:

The ubiquitous digitalization of the economy has led to a widespread sense of unease in the international tax community. In light of the clear explanation of how Article 12B UN Model Convention works, this book will prove to be invaluable to practitioners and policymakers who face this issue in their day-to-day work and will benefit from its consideration of how it is likely to be implemented in the international double taxation treaty network.

Subjects:
Taxation, eBooks
Contents:
Summary
Acknowledgements

PART I: Setting the Scene
CHAPTER 1. Introduction: The Quest for Taxing the Digital Economy
CHAPTER 2. Research Questions and Structure of the Book
CHAPTER 3. Article 12B UN MC and Principles Underlying the Coordination of Taxing Claims
CHAPTER 4. The Influence of Developing Countries in Forums of International Tax Coordination

PART II: Article 12B UN MC as a Response to the Tax Challenges Stemming from the Digitalization of the Economy
CHAPTER 5. The Response of the UN MC: Article 12B UN MC

PART III: The Relation of Article 12B UN MC to OECD/Inclusive Framework Pillar One/Amount A
CHAPTER 6. OECD/IF Pillar One/Amount A: Reallocation of Taxing Rights

PART IV: Conclusions
CHAPTER 7. Results of the Research

Bibliography