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Tax Treaties And Developing Countries (series On International Taxation) [Hardcover]

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  • Category: Books (Law)
  • Author:  Veronika Daurer
  • Author:  Veronika Daurer
  • ISBN-10:  9041149821
  • ISBN-10:  9041149821
  • ISBN-13:  9789041149824
  • ISBN-13:  9789041149824
  • Publisher:  Wolters Kluwer Law & Business
  • Publisher:  Wolters Kluwer Law & Business
  • Pages:  368
  • Pages:  368
  • Binding:  Hardcover
  • Binding:  Hardcover
  • Pub Date:  01-Mar-2013
  • Pub Date:  01-Mar-2013
  • SKU:  9041149821-11-MPOD
  • SKU:  9041149821-11-MPOD
  • Item ID: 100993613
  • Seller: ShopSpell
  • Ships in: 2 business days
  • Transit time: Up to 5 business days
  • Delivery by: Dec 25 to Dec 27
  • Notes: Brand New Book. Order Now.
Countries eliminate the burden of double taxation for their taxpayers who engage in cross-border business activities by negotiating tax treaties with other countries. In the case of developing countries, tax treaties are often entered into with the additional purpose of attracting foreign investment as a path towards development. It is not clear, however, what role such agreements play in a country's development efforts. This thoroughly researched book is the first to tackle this important issue in depth. Through an analysis of the tax treaty provisions of eleven East African nations, the author unveils the actual impact of the UN Model on the tax treaty network of the countries analysed as well as the real-world relationship between tax treaties and development. All the crucial components necessary for understanding this relationship are examined, including the following: ;

  • how the UN Model (designed for developing countries) deviates from the OECD Model;
  • to what extent developing countries actually make use of the UN Model during treaty negotiations;
  • the various functions of tax treaties, including elimination of double taxation, allocation of taxing rights, prevention of tax avoidance and fiscal evasion, and promotion of investment activities;
  • the question of how source and residence taxation can be justified and which of these two concepts should be given preference;
  • exchange of information issues;
  • the problem of tax havens;
  • the concept of transfer pricing;
  • the concept of permanent establishment;
  • patterns discerned in the treaty policy of developing countries and recurring non-model provisions;
  • treatment of business profits, royalties, and capital gains;
  • interest exemptions;
  • technical and adl&
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