► Did Brexit affect the UK’s treaties network?
Yes, Brexit significantly affected the UK’s treaty network, particularly in the areas of trade, tax, investment, financial services, and…
Read more →Real questions from students and practitioners, answered by the faculty.
► Yes, Brexit significantly affected the UK’s treaty network, particularly in the areas of trade, tax, investment, financial services, and…
Read more →
► Yes, a country’s membership in the European Union (EU) but not in the OECD can affect the treaties it enters into, particularly in areas…
Read more →
► Treaty renegotiation, termination, or suspension in cases of conflict between countries or the imposition of sanctions is a complex process…
Read more →
► In your opinion, which transfer pricing method will be the best to apply in to the the diamond industry, based on the fact that it’s not…
Read more →
► Taking a look at the case: Canada v. GlaxoSmithKline Inc
Read more →
► What is your view on analysing related party transactions in their entirety rather than isolating individual elements that are considered…
Read more →
► When it comes to transfer pricing, sometimes the indirect taxes seem ignored. If a company is not registered for VAT, for example, in Kenya…
Read more →
► In Transfer Pricing, tax authorities often scrutinize adjustments made to ensure comparability and adherence to the Arm’s Length Principle.…
Read more →
► Public Databases and Resources: Utilize free or publicly available financial databases, such as company annual reports, government…
Read more →
► The COVID-19 pandemic introduced significant economic disruptions, leading to challenges in using pre-2020 comparables for transfer pricing…
Read more →
► How are foreign tax credits treated in cases of significant differences in tax rates? For example, are US expats in the UK, where the tax…
Read more →
► Treaty interpretation can yield different results in cases of double taxation and double non-taxation, particularly in how countries apply…
Read more →
► Taxes evolve every single day—both local and international. What is the recommendation for keeping up with the changes and reacting on time?
Read more →
► Can a credit be applied if, in the US, companies within a group are treated as disregarded entities with a tick exercise? This was…
Read more →
► The UN Model Treaty was developed with the developing countries’ intentions and benefits more in mind compared to the OECD Model Treaty.…
Read more →
► Drawing from an example on international double taxation, we see that the interaction of domestic tax laws and treaty provisions for State…
Read more →
► On source rules, Brian Arnold asserts that rules that consider income from business activities as having its source where the real business…
Read more →
► In my reading, I have noted that the use of 183 days—minimum—as a criterion to establish residence is considerably common. What is the…
Read more →
► In explaining some ways of determining an individual’s residence status, Brian Arnold asserts that a facts-and-circumstances test for…
Read more →
► Yes, there are instances where both the place of management and place of incorporation tests may fail to determine the tax residence of a…
Read more →
► In the European Union (EU), tax jurisdiction for individuals is primarily determined by residency and the concept of tax domicile rather…
Read more →
► In the case of individuals, how is the tax jurisdiction handled in the case of digital nomads who have not stayed in a dwelling for more…
Read more →
► Article 13 (1) Gains derived by a resident of a Contracting State from the alienation of immovable property referred to in Article 6 and…
Read more →
► If Company A is busy with a project (for example, in South Africa) and gets Company B based in Zimbabwe to do advisory work, company A will…
Read more →
► In the context of international taxation, BEPS 2.0 (Base Erosion and Profit Shifting) represents a significant shift in the global tax…
Read more →
► In terms of the latest developments (eg. BEPS 2.0), what are some things that we should bear in mind and how are they expected to impact…
Read more →
► The UN Model Treaty was developed with the developing countries’ intentions and benefits more in mind compared to the OECD Model Treaty. In…
Read more →
► How did Brexit impact the legal and tax implications between the UK and the European Union?
Read more →
► What happens if a country (eg Hong Kong) doesn’t have a double tax treaty with the US, but does have an exchange of information agreement…
Read more →
► I am from Hong Kong, a common law jurisdiction. What do I need to know about civil law jurisdictions to understand the difference in the…
Read more →What are the usual trigger points for tax authorities to start auditing/investigating/challenging businesses on their TP? Do tax…
Read more →
► Are mutual agreement procedures ever published by any tax authorities, at least in redacted forms? If so, are there any sources where MAPs…
Read more →
► Yes, intercompany activities are taken into consideration under the Economic Substance Regulations (ESR). The ESR requires entities…
Read more →
► Notified Jurisdiction Areas (NJAs) are specific regions or countries identified by a government (typically in India) where certain…
Read more →
► Notified Jurisdiction Areas (NJAs) are specific regions or countries identified by a government (typically in India) where certain…
Read more →
► Anti-avoidance legislation within the European Union (EU) has become increasingly harmonised, particularly in response to concerns about…
Read more →
► When tie-breaker rules fail to resolve a dispute regarding tax residency or other issues, and both countries involved still claim taxing…
Read more →