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Search Results for: Jonathan Schwarz

85 results available

Effective Resolution of International Tax Disputes
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
“Foreseeably relevant” information or a “fishing expedition” in a transfer pricing case?
June 22, 2026

The United Kingdom First-tier tax Tribunal has declined to order the disclosure of  a US parent company's group consolidated financial statements and US entity level financial statements in a…

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Effective Resolution of International Tax Disputes
Jonathan Schwarz (Temple Tax Chambers; King’s College London) for corporate tax, treaty interpretation
Privacy and tax information powers
June 01, 2026

In an era where tax administrations seek increasing amounts of information from taxpayers and others, and where the routinely exchange information with each other, a recent decision of the European…

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UN
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Mutual Administrative Assistance in Tax Matters: Limits on Assistance
January 21, 2026

The recent decision of the Federal Court of Canada in Canada (National Revenue) v. Shopify Inc. (2025 FC 968)  is a rare decision on the Joint Council of Europe/OECD Convention on Mutual…

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Infrastructure
Jonathan Schwarz (Temple Tax Chambers; King’s College London) for permanent establishment
Permanent Establishment: Welcome to the Hotel California*
September 16, 2025

The Indian Supreme Court has again expressed its views on the meaning of PE in the context of franchise arrangements for the operation of hotels in India under a well known brand. It also reflects a…

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City
Jonathan Schwarz (Temple Tax Chambers; King’s College London) for OECD Commetary, permanent establishment, treaty interpretation
Paper does not give rise to a Permanent Establishment
July 24, 2025

The Luxembourg High Administrative Court has rejected an appeal against a first instance decision that a holding company resident in Luxembourg had no permanent establishment in Malaysia within…

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City
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)
Transfer Pricing corresponding adjustments as of right
April 08, 2025

Transfer pricing adjustments under Article 9 of the model treaties are the most common form of dispute that is dealt with under the mutual agreement procedure. It is for this reason that the OECD…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Just how far does the AOA go?
February 05, 2025

"When I use a word," Humpty Dumpty said in rather a scornful tone, " it means just what I choose it to mean, neither more nor less." (Lewis Carroll, Alice through the Looking Glass) Prior to the OECD…

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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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