9789087224653 (print) 9087224656 9789087224646 ePub 9789087224639 ePDF
EC and international tax law series ; v. 16.
Taxation of Intellectual Property under Domestic Law, EU Law and Tax Treaties, comprising the proceedings and working documents of an annual seminar held in Milan in November 2017, is a detailed and comprehensive study on the taxation of intellectual property (IP). It begins with a comparative analysis of the domestic private law aspects of IP and the domestic tax regimes applicable to profits deriving from the utilization of IP. It next examines the taxation of IP under EU law, with a particular emphasis on (i) the EU fundamental freedoms and State aid, and (ii) the open issues in the implementation of the EU Interest and Royalty Directive. The book then moves to selected tax treaty issues. In particular, it analyses (i) the historical background and the policy of article 12 of the OECD Model Convention; (ii) the meaning of "royalties" and overlapping between articles 7, 12 and 13 of the OECD Model Convention; (iii) royalties in the context of the OECD Multilateral Instrument under the limitation on benefits (LoB) provision and the principal purpose test (PPT) clause; and (iv) certain selected issues on cross-border transfers of IP. Individual country surveys provide an in-depth analysis of the domestic tax regimes and actual tax treaty application and practices by various states, including Australia, Austria, Brazil, Canada, China (People's Rep.), France, Germany, Italy, the Netherlands, Spain, Switzerland, the United Kingdom and the United States.-- Back jacket cover.
Bibliography, etc. Note
Includes bibliographical references.
Formatted Contents Note
Taxation of intellectual property in domestic tax law / Matthias Valta Intellectual property income and tax treaty abuse: relevance of BEPS actions 5 and 8-10 for the principal (IP) purpose test / Robert J. Danon An EU free movement and state aid perspective on the development of IP in a foreign PE / Sjoerd Douma Open issues in the application of the interest and royalty directive to royalty payments / Paolo Arginelli Source vs residence taxation of royalties: a historical perspective / Jacques Sasseville Article 12 OECD/UN models: definition of royalties and "overlapping" between articles 2, 12 and 13 / Adolfo Martín Jiménez Royalties in the context of the multilateral instrument, the principal purpose test and the limitation on benefits provision / Sophie Chatel Transfers of intangibles under tax treaties (although all the fun stuff is in the transfer pricing guidelines) / Patricia A. Brown Australia / Celeste M. Black Austria / Robin Damberger and Hans-Peter Gradwohl Brazil / Leonardo F. de Moraes e Castro Canada / Joel Scheuerman China (people's rep.) / Na Li France / Mathieu Daudé Germany / Florian Schmid Italy / Alberto Brazzalotto Netherlands / Zoya Zalmai Spain / Elizabeth Gil García Switzerland / Peter Hongler & Livia Schlegel United Kingdom / Anne Fairpo United States / Larissa B. Neumann, Julia Ushakova-Stein, David N. de Ruig, Michael D. Knobler & Sean P. McElroy
K4532.I56 T395 2018
Amsterdam, The Netherlands : IBFD,