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Fred de Hosson  (General Editor Intertax and Of Counsel at Baker McKenzie)
The Contents of Intertax, Volume 44, Issue 2, 2016
March 05, 2016

Volume 44 (2016) Issue 2 contains: EDITORIAL Dennis WEBER, 'The New Common Minimum Anti-Abuse Rule in the EU Parent-Subsidiary Directive: Background, Impact, Applicability, Purpose and Effect'…

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William Byrnes  (Texas A&M University Law)
What Do Heavy-Duty Diesel Engines And The Google Tax Have in Common?
March 04, 2016

What do these two things have in common?  Dr. Andrew P. Morriss, Dean & Anthony G. Buzbee Dean's Endowed Chair, Texas A&M School of Law explains In 1998, seven US heavy-duty diesel engine (…

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Almut Breuer  (Loyens & Loeff)
The Interest Limitation Rule of the Proposed EU Anti-Tax Avoidance Directive: A Violation of the German Constitution?
March 02, 2016

Introduction On 28 January 2016, the proposal for a council directive laying down rules against tax avoidance practices that directly affect the functioning of the internal market (the so-called ATA-…

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Guillermo O. Teijeiro  (Bomchil)
Argentine treaty network: Will the schoppable treaty soon become an extinct species?
February 29, 2016

Lessons to LatAm from recent developments of one of the oldest tax treaty networks in the region The final outcome of Action 6, BEPS, posses the query of adopting the principal purpose test (PPT)…

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Ben Kiekebeld  (General Editor EC Tax Review and tax adviser at Ernst & Young Belastingadviseurs LLP)
Current Issue of EC Tax Review
February 27, 2016

Volume 25 (2016) Issue 1 contains: EDITORIAL Pierre Moscovici, 'Tough Measures Needed to Reform Tax on Corporate Profits' ARTICLES Silvia Velarde ARAMAYO, 'A Common GAAR to Protect the Harmonized…

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William Byrnes  (Texas A&M University Law)
Analysis of the New US Model Tax Treaty
February 25, 2016

After a decade, the Treasury Department issued a new U.S. Model Income Tax Convention (the “2016 Model”), which is the baseline text the Treasury Department uses when it negotiates tax treaties (last…

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Jakob Bundgaard  (CORIT advisory)
Understanding the EU Anti Tax Avoidance Package - Study on Structures of Aggressive Tax Planning and Indicators
February 23, 2016

When the EU Anti Tax Avoidance Package was launched by the European Commission, a Study on Structures of Aggressive Tax Planning and Indicators was released simultaneously as Taxation papers –…

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Jonathan Schwarz  (Temple Tax Chambers; King’s College London)
US Model Treaty 2016: What does it say about the US and BEPS?
February 21, 2016

Model tax treaties do matter. The OECD and UN Models constitute precedent books with standard clauses that contracting states can follow or adapt to suit their particular circumstances. The US Model…

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Johann Müller  (International tax professional)
An unexpected benefit of CbyC reporting for in-house tax departments
February 18, 2016

(“Every in-house tax department should have their own IT/Financial systems capacity” – JHM, TP Minds London, 2015.) The unexpected benefit from country by reporting (“CbyC”) reporting is that tax…

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William Byrnes  (Texas A&M University Law)
Profit shifting: Effectively Connected Income and Financial Statement Risks
February 16, 2016

MNC profit shifting has received major attention over the past few years. Total earnings stockpiled overseas are now reported to be in excess of $2 trillion. One of the authors published a technical…

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