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OECD Discussion Drafts
Details
Published: 16 September 2014
PUBLIC DISCUSSION DRAFT BEPS ACTION 1: ADDRESS THE TAX CHALLENGES OF THE DIGITAL ECONOMY (MARCH 2014) (
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW INDOW
)
;
PUBLIC DISCUSSION DRAFT BEPS ACTION 2: NEUTRALISE THE EFFECTS OF HYBRID MISMATCH ARRANGEMENTS - TREATY ISSUES (MARCH 2014)
(
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW WINDOW
)
;
PUBLIC DISCUSSION DRAFT (NEUTRALISE THE EFFECTS OF HYBRID MISMATCH ARRANGEMENTS - RECOMMENDATIONS FOR DOMESTIC LAWS) (MARCH 2014) (
YOU WILL BE FORWARDED TO THE OECD WEBSITE, WHICH WILL OPEN IN A NEW WINDOW
);
PUBLIC DISCUSSION DRAFT BEPS ACTION 6: PREVENTING THE GRANTING OF TREATY BENEFITS IN INAPPROPRIATE CIRCUMSTANCES (MARCH 2014)
(
YOU WILL BE FORWARDED TO THE OECD WEBSITE, WHICH WILL OPEN IN A NEW WINDOW
)
;
DISCUSSION DRAFT ON TRANSFER PRICING DOCUMENTATION AND COUNTRY BY COUNTRY REPORTING (JANUARY 2014)
(
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW WINDOW
)
;
TECHNICAL CHANGES TO BE INCLUDED IN THE NEXT UPDATE TO THE OECD MODEL TAX CONVENTION (NOVEMBER 2013) (
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW WINDOW
)
;
WHITE PAPER ON TRANSFER PRICING DOCUMENTATION (JULY 2013)
(
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW WINDOW
);
REVISED DISCUSSION DRAFT ON TRANSFER PRICING ASPECTS OF INTANGIBLES (JULY 2013) (
YOU WILL BE FORWARDED TO THE OECD WEBSITE, WHICH WILL OPEN IN A NEW WINDOW
)
;
DISCUSSION DRAFT OECD MODEL TAX CONVENTION: TAX TREATY TREATMENT OF TERMINATION PAYMENTS (JUNE 2013)
(
YOU WILL BE FORWARDED TO THE OECD WEBSITE, WHICH WILL OPEN IN A NEW WINDOW
)
;
OECD MODEL TAX CONVENTION: REVISED PROPOSALS CONCERNING THE MEANING OF "BENEFICIAL OWNER" IN ARTICLES 10, 11 AND 12 (OCTOBER 2012) (
YOU WILL BE FORWARDED TO THE WEBSITE OF THE OECD, WHICH WILL OPEN IN A NEW WINDOW
)
;
OECD MODEL TAX CONVENTION: REVISED PROPOSALS CONCERNING THE INTERPRETATION AND APPLICATION OF ARTICLE 5 (PERMANENT ESTABLISHMENT) (OCTOBER 2012) (
YOU WILL BE FORWARDED TO THE OECD WEBSITE, WHICH WILL OPEN IN A NEW WINDOW
)
.
Copyright - internationaltaxplaza.info
INTERESTING ARTICLES
The Dutch Government opened a public consultation on proposed changes to the conditions to be met for the exemption of real estate transfer tax to apply in case of a legal demerger
The AG proposes the CJEU to annul the EC’s decision that the special rule for certain financing income as in included in the CFC regime as applicable in the UK between 2013 and 2018 constituted illegal State Aid
Position of the Dutch tax authorities published on the qualification of an English/Welsh Limited Liability Partnership for Dutch tax purposes
De Nederlandse overheid heeft een consultatie geopend met betrekking tot aanpassing van de splitsingsvrijstelling in de overdrachtsbelasting
The Irish Department of Finance opened a public consultation on a Strawman proposal for the introduction of a participation exemption for foreign dividends
Evaluation of the Dutch 30% Allowance and the possibility to tax exempt reimburse extraterritorial costs that are actually incurred by an employee
Position of the Dutch tax authorities on the application of the liquidation loss scheme in case of the dissolution and liquidation of an entity that previously was a sub-subsidiary of the taxpayer
The Liechtenstein government issued a regulation on the minimum taxation of large groups of companies
Position of the Dutch tax authorities on the scope of substitution with respect to the participation exemption in case of a legal demerger
De Nederlandse Hoge Raad wijkt af van het advies van de AG in de volgende artikel 10a Vpb - fraus legis zaak
The Australian Treasury opened 2 public consultations on draft legislation to implement Pillar 2 in Australia
The opinion of the Advocate General in Case C‑39/23 (Free movement of capital – Difference in treatment of dividend distributions to resident and non-resident public pension funds)
The opinion of the Advocate General in Case C‑585/22 (Deductibility of interest due on a loan predominantly motivated not by commercial considerations, but by the objective of creating a deductible debt)
De belastingdienst heeft een kennisdocument gepubliceerd over kosten ter zake van de verwerving of vervreemding van een deelneming