Despite the enormous diversity and complexity of financial instruments, the current taxation of hybrid financial instruments and the remuneration derived therefrom are characterized by a neat division into dividend-generating equity and interest-generating debt as well as by a coexistence of source- and residence-based taxation. This book provides a comparative analysis of the classification of hybrid financial instruments in the national tax rules currently applied by Australia, Germany, Italy and the Netherlands as well as in the relevant tax treaties and EU Directives. Moreover, based on selected hybrid financial instruments, mismatches in these tax classifications, which lead to tax planning opportunities and risks and thus are in conflict with the single tax principle, are identified. To address these issues, the author provides reform options that are in line with the dichotomous debt-equity framework, as he/she suggests the coordination of either tax classifications or tax treatments.
Throughout this book, the analysis draws upon preparatory works, case law, and legal theory in English, German, and the Scandinavian languages.
... already considered the implications of corporate financing from different perspectives and its connection with respect to different fields of economy and law, such as corporate finance theory, company law, financial accounting law, ...
41 Advocate General Kokott expressly mentioned X Holding case as an example. 42 Opinion of Advocate General Kokott, in A Oy, C-123/11, EU:C:2005:201, point 50. 43 It is important to note that, unlike in the Marks & Spencer and Lidl ...
Adopting a global perspective, the book gives a systematic presentation of the main interpretive proposals put forward by the OECD Commentary, and analyses selected cases decided in domestic tax systems in order to assess whether and how ...
(29) Dennis Weber & Bruno da Silva, From Marks & Spencer to X Holding: The Future of Cross-Border Group Taxation, ... Charity Crossing Borders: The Fundamental Freedoms' Influence on Charity and Donor Taxation in Europe, ...
Miguel Correia, Taxation of Corporate Groups, 2013 (ISBN 978-90-4114841-4). Veronika Daurer, Tax Treaties and Developing Countries, 2014 (ISBN 97890-411-4982-4). Claire Micheau, State Aid, Subsidy and Tax Incentives under EU and WTO Law ...
... Taxation of Hybrid Financial Instruments and the Remuneration Derived Therefrom in an International and Cross-border Context. Issues and Options for Reform, Berlin/Heidelberg: Springer, 2012. Bauer D., Kramer F. W., The Risk of a ...
Session Seton Hall J. Sports L. Seton Hall J. Sports & Ent. L. SICAV Skat Ud Skatt Ov. SLT SMAA SNEs SOFA SOT Sp. ... Denmark) Sports Law & Taxation (periodical, Netherlands; formerly: Global Sports Law and Taxation Reports) Sample ...
This book provides a comprehensive analysis of the rules governing the taxation of permanent establishments as implemented in the OECD Model Tax Convention and German national tax law.
... Taxation of Cross-Border Partnership. Amsterdam: ibfd. bärscH, S. (2014). The Definitions of Dividends and Interest Contained in the oecd Model, Actual Treaties, and the German Model. Intertax, 42, 433-444. bärscH, S. (2012). Taxation of ...