Mondaq Europe: Tax > Tax Treaties
Kinanis LLC
Cyprus has concluded the negotiations for the avoidance of double taxation with the Netherlands.
Antoniou McCollum & Co. LLC
Cyprus is a member of the European Union and the Eurozone.
Elias Neocleous & Co LLC
Last week saw Cyprus add The Netherlands to the long list of countries with which it has signed double taxation agreements.
A. Karitzis & Associates L.L.C
Attracting foreign direct investment is at the heart of Cyprus' development strategy.
C.Savva & Associates Ltd
A Tax Treaty, in general terms, is an agreement between two or more jurisdictions that regulates the tax amount that an individual or a company must pay, so they are not taxed twice on the same type of income.
G. Vrikis & Associates LLC
The DTT is generally based on the OECD Model Double Tax Convention framework.
TMF Group
Tax residence is determined by various factors and influences whether – and what type – of expatriate income is taxable in a certain country
Gardiner Roberts LLP
On August 29, 2019, Canada ratified the Multilateral Convention To Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (the "Convention").
ATOZ Tax Advisers
On 8 August, the draft law (the "draft law") implementing the EU Directive 2017/952 of 29 May 2017 ("ATAD 2") amending Directive (EU) 2016/1164
Mandaris
Although the smallest member of the European Union (EU), Malta is a leading European financial centre and is one of the most cost-effective onshore jurisdictions in Europe to form a company.
KPMG Malta
For this purpose, tax treaties have to be analysed in conjunction with the MLI.
Kinanis LLC
Beneficial Ownership Concept New Interpretation From The Russian Federal Tax Service.
Gorodissky & Partners
The Multilateral Convention to Implement Tax Treaty-Related Measures to Prevent Base Erosion and Profit Shifting of 24 November 2016 - also known as the Multilateral Instrument (MLI)
Prager Dreifuss
As part of the IFA Congress 2019 held in London, the authors discuss BEPS Action 4 (interest deductibility) and its implementation in Switzerland. Interest limitation rules, as the ones proposed
Prager Dreifuss
Die Autoren besprechen im Rahmen des IFA-Kongresses 2019 in London den BEPS Aktionspunkt 4 (Zinsabzugsfähigkeit) und dessen Umsetzung in der Schweiz. ...
DLA Piper
On July 24, 2019, the French Digital Services Tax (DST) became law (law n°2015-759 dated July 24, 2019). The new tax is effective as of January 1, 2019.
Sayenko Kharenko
On 18 September 2019, the Parliament of Ukraine ratified a protocol (the Protocol) of amendments to the double tax treaty between Ukraine and Switzerland
DLA Piper
On 8 August 2019, Ukraine deposited its instrument of ratification of the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI).
Andersen Tax
Non-US investors are subject to different treatment on their US investments, depending on whether the investor is an individual, company or trust.
DLA Piper
On July 16, 2019, the US Senate ratified a new protocol that amends the 2013 Double Taxation Treaty signed between the US and Spain.
Latest Video
Most Popular Recent Articles
Prager Dreifuss
As part of the IFA Congress 2019 held in London, the authors discuss BEPS Action 4 (interest deductibility) and its implementation in Switzerland. Interest limitation rules, as the ones proposed
Gardiner Roberts LLP
On August 29, 2019, Canada ratified the Multilateral Convention To Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (the "Convention").
Antoniou McCollum & Co. LLC
Cyprus is a member of the European Union and the Eurozone.
Mandaris
Although the smallest member of the European Union (EU), Malta is a leading European financial centre and is one of the most cost-effective onshore jurisdictions in Europe to form a company.
Elias Neocleous & Co LLC
Last week saw Cyprus add The Netherlands to the long list of countries with which it has signed double taxation agreements.
KPMG Malta
For this purpose, tax treaties have to be analysed in conjunction with the MLI.
A. Karitzis & Associates L.L.C
Attracting foreign direct investment is at the heart of Cyprus' development strategy.
Prager Dreifuss
As one of the BEPS project's antitax avoidance measures, the OECD has developed a so called multilateral instrument which has been signed by 87 jurisdictions so far. The purpose of the MLI
Sayenko Kharenko
On 18 September 2019, the Parliament of Ukraine ratified a protocol (the Protocol) of amendments to the double tax treaty between Ukraine and Switzerland
Prager Dreifuss
Die Autoren besprechen im Rahmen des IFA-Kongresses 2019 in London den BEPS Aktionspunkt 4 (Zinsabzugsfähigkeit) und dessen Umsetzung in der Schweiz. ...
Article Search Using Filters
Related Topics
Mondaq Advice Centre (MACs)
Popular Authors
Popular Contributors
Up-coming Events Search
Tools
Font Size:
Translation
Channels
Mondaq on Twitter