Virtually all international taxation provisions ultimately stem from two fundamental sources, both originating at the OECD: The Model Tax Convention (on which more than 3,000 bilateral tax treaties are based), and the Transfer Pricing Guidelines. During 2010, major revisions were made to both.
This is the first publication to describe and analyse these amendments in depth. From a variety of perspectives, thirteen experts and#8211; lawyers, tax directors, representatives of the OECD and of tax administrations, and academics and#8211; discuss the updates and the issues that may arise regarding their interpretation and application. The significant changes covered include:
This unique book provides an expert analysis of current, important topics in international taxation and transfer pricing. As such, it is a welcome and valuable resource for tax lawyers and consultants, corporate tax advisers, government officials and others involved in the international tax law market, as well as for academics and researchers in the field.
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