
Substance in International Tax Law
The notion of 'substance' is proving to be central to the OECD's base erosion and profit shifting (BEPS) project, particularly in the area of taxation of intangibles. In this book, this notoriously hard-to-define concept is examined from three distinct angles: transfer pricing (DEMPE Approach), harmful tax practices (Substantial Activity Requirement), and tax treaties (Beneficial Ownership).
In a thoroughgoing investigation using the practical example of an IP company, the author provides detailed and precise answers to the following questions:- What substance is necessary to be entitled to intangible-related returns?
- What substance is necessary to benefit from preferential IP regimes or no or only nominal tax jurisdictions?
- What substance is necessary to collect royalties free from withholding taxes?
- Undertitel
- DEMPE Approach, Substantial Activity Requirement and Beneficial Ownership
- Författare
- Florian Navisotschnigg
- ISBN
- 9789403548951
- Språk
- Engelska
- Vikt
- 467 gram
- Utgivningsdatum
- 2022-08-09
- Förlag
- Kluwer Law International
- Sidor
- 208