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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
No abusive treaty-shopping of Caricom multilateral tax treaty
May 22, 2025

The Judicial Committee of the Privy Council (the highest appeal court for a number of Commonwealth countries) ruled  last month that payment rapid payment of dividends by a Trinidadian company…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Credit where credit is due
January 07, 2025

Art 23 of the OECD and UN Model treaties are seldom exactly followed in state treaty practice. More often, the basic principles of relief by credit or exemption in arts 23A and B are tailored to meet…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Beneficial ownership and abuse – even more
May 31, 2024

The recent English Court of Appeal decision in Hargreaves Property Holdings Ltd v HMRC [2024] EWCA Civ 365 http://www.bailii.org/ew/cases/EWCA/Civ/2024/365.html  has again examined the meaning of…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Stock lending -beneficial ownership and tax avoidance- again! Part 2
April 02, 2024

In my previous blog I examined the Tax Court of Canada’s analysis of the meaning of beneficial ownership in tax treaties in Husky Energy Inc. v The King, 2023 TCC 167 in relation to stock or…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Stock lending -beneficial ownership and tax avoidance- again!
February 12, 2024

Although the meaning of beneficial ownership in tax treaties first burst onto the scene in Indofood International Finance Ltd v JP Morgan Chase Bank N.A. London Branch [2006] EWCA Civ 158  and, for…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
What is in a language? Parlez-vous français?
March 31, 2022

English may be the lingua franca of our time, but it is not the only language of international law. Royal Bank of Canada v HMRC [2022] UKUT 45 (TCC).  raised issues around the interpretation of a tax…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Liable to tax by reason of residence… or any other criterion of a similar nature
July 22, 2021

When is a taxpayer a resident of a contracting state for purposes of a tax treaty? The decades old definition in article 4(1) of the OECD Model that ‘“resident of a Contracting State” means any…

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