Series on International Taxation Volume #66
Double Non-taxation and the Use of Hybrid Entities, currently in its second edition, is the first systematic in-depth analysis of the OECD Base Erosion and Profit Shifting (BEPS) Action Plan 2 and hybrid entities, a timely book providing a critical review of the approach adopted by the OECD and proposing a deeply informed alternative method to deal with the problem of hybrid entity mismatches. Double non-taxation and hybrid entities have gained increasing importance in a context where transformations in the tax world have led to international commitments materialised in the OECD BEPS.
What’s in this book:
The author analyses the interaction between the double non-taxation outcome and the use of hybrid entities in an approach not strictly linked to any specific tax jurisdiction. To this end, the analysis includes case studies and examples from various jurisdictions, emphasising the international tax context and the application of tax treaties.
This edition covers the following seminal matters:
Detailed comparisons between the author’s proposal and other existing rules shed light on common points and deviations.
How this will help you:
Due to its nonpareil clarification of the issues, this book will prove to be of immeasurable value to practitioners, tax authorities, policymakers and academics concerned with international tax law. In addition, as an authoritative guide that promises to reorient the discussion to what really matters in the debate regarding hybrid entity mismatches, this analysis furnishes solutions applicable to a generality of cases globally and, therefore, hugely promotes the urgent quest for alternative views.
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Derived from Kluwer’s multi-volume Corporate Acquisitions and Mergers, the largest and most detailed database of M&A know-how available anywhere in the world, this work by highly experienced partners in the leading international law firm Allen & Gledhill LLP provides a concise...
Transfer Pricing Developments Around the World 2023 is a book presenting an in-depth, issue-by-issue analysis of the current state of transfer pricing developments along with suggestions for future solutions to the problems raised. Profound and intensive work on transfer pricing, one of the most ...
Applying the Arm’s Length Principle to Intra-group Financial Transactions is a unique compendium comprising contributions by more than 50 leading global transfer pricing and international tax experts from law firms, multinational enterprises, academia, and tax administrations. This nonparei...
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