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This paper reports on a study of the tax treaty policy of a group of eleven East African countries. African tax treaties tend to follow one of two model treaties, an OECD model treaty that favours the interests of capital exporting nations and a United Nations model treaty that allows capital...
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Article 13 of the OECD Model tax treaty allows a source country to retain taxing rights on capital gains realized by non-residents on the sale of real (immovable) property in the source country. Recently, it has been modified to incorporate a further rule that has long been a feature of the UN...
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The notional purpose of tax treaties is to prevent double taxation and tax evasion. The actual purpose is to reallocate taxing rights between an investor's home jurisdiction (the residence state) and the host jurisdiction (the source state). The effect is to reduce or remove the taxing rights of...
Persistent link: https://www.econbiz.de/10013018287
This article compares VAT compliance costs in OECD countries with those in China, a significant competitor and trading partner of most OECD countries. The long and sometimes complex evolution of China’s turnover tax system into a more modern VAT contributed to the compliance burden but recent...
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