UK Tax Treaties

UK Tax Treaties
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Product Id:
ukprod9781405755290TT1
Product Code:
TT1
ISBN/ISSN:
9781405755290
Publication Date:
21/09/2012
Format:
Print
Price:
£147.95
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  • Description
  • Content
  • Author

Cross-border issues are increasing and organisations want to retain as much of their revenues as possible. On a global level, bodies such as the OECD are reacting and issuing policy accordingly. You are frequently required to interpret tax treaties and need to be up to speed with issues such as:

  • Permanent Establishment
  • Triangulation
  • How can treaties be exploited to give maximum credit

Make the most effective transaction for your client, by understanding how the treaties work with Tax Treaties 2010. It considers the practical interpretation of the UK?s double tax treaties and domestic rules concerning relief from double taxation, as they relate to the taxation of income in the UK on both UK resident and non-UK resident companies.

Tax Treaties 2010 discusses, article by article, the OECD and UN model treaties so you can easily interpret them and see how the clauses work in practice. Also contained in the text is a chapter dealing with key EU treaty matters as they relate to UK corporation tax.

Featuring over 100 worked examples, extensive commentary and key case law, Tax Treaties 2010 is a comprehensive work which focuses on the practical application of the UK domestic and treaty law; as well as containing coverage on royalties, licence payments, permanent establishment and much more - allowing you to give more succinct transactional advice.

1. Introduction
2. Historical background to double tax relief and treaties
3. UK domestic rules (income)
4. UK domestic rules (capital gains)
5. UK domestic rules (distributions)
6. UK domestic rules (non-residents)
7. Special companies (e.g., financial traders)
8. Background to treaties and OECD/UN models/commentary
9. Articles in agreements - scope and definitions (e.g. PE)
10. Articles in agreements business profits
11. Articles in agreements - associated enterprises
12. Articles in agreements shipping and air transport
13. Articles in agreements - dividends, interest and royalties
14. Management fees
15. Capital gains
16. Independent personal services
17. Dependent personal services
18. Directors' fees
19. Artists and athletes
20. Pensions and annuities
21. Government service
22. Professors, teachers, students and apprentices
23. Income not expressly mentioned/other income
24. Capital
25. Non-discrimination
26. Mutual agreement
27. Exchange of Information
28. Territorial extension
29. Entry into force/termination
30. Treaty shopping and other avoidance
31. EU Treaty matters
Appendices

 


By Alastair Munro, Director for International Corporate Tax at KPMG; with co-authors Teresa Nogueira and Jo Harrison, KPMG

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