Immovable Property under Domestic Law, EU Law and Tax Treaties

Immovable Property under Domestic Law, EU Law and Tax Treaties
Book
EC and International Tax Law Series
Format/Price
9789087223274
632
EUR
110
| USD
130
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This book provides a unique and detailed insight into the taxation of immovable properties from both a domestic and an international context.

Why this book?

Immovable Property under Domestic Law, EU Law and Tax Treaties, comprising the proceedings and working documents of an annual seminar held in Milan in November 2014, provides a thorough analysis of the taxation of immovable properties.

The analysis starts from a survey of the concept of “immovable property” in common and civil law jurisdictions and then considers how different approaches affected the taxation of income deriving therefrom.

EU tax law issues are then taken into consideration, both from an income tax and VAT viewpoint. In particular, the income tax analysis provides an extensive examination of how taxation of immovable property applied by EU Member States may affect fundamental freedoms.

The book then moves to selected tax treaty issues. In particular, the analysis examines: (i) the relationships between tax treaty law and national law; (ii) the interaction between articles 6, 7 and 21 of the OECD Model Convention; and (iii) the concept of “enterprise” in the context of article 6 of the OECD Model Convention and its possible implications. Finally, the evolution of article 6 of the OECD Model Convention with respect to income from agriculture, forestry and mining is reviewed.

Individual country surveys provide in-depth analyses of the above concepts and issues from a national viewpoint in selected European and North American jurisdictions, as well as in Australia.

As a presentation of a unique and detailed insight into the taxation of immovable properties in both domestic and international contexts, this book is an essential reference source for international tax practitioners.

Immovable Property under Domestic Law, EU Law and Tax Treaties

DOI: https://doi.org/10.59403/127tjcf
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Chapter 1: Taxation of Immovable Property from a Civil Law Perspective

DOI: https://doi.org/10.59403/127tjcf001
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Chapter 2: Taxation of Immovable Property from a Common Law Perspective

DOI: https://doi.org/10.59403/127tjcf002
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Chapter 3: Taxation of Immovable Property: EU Law Direct Tax Aspects

DOI: https://doi.org/10.59403/127tjcf003
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Chapter 4: Immovable Property under EU VAT Law

DOI: https://doi.org/10.59403/127tjcf004
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Chapter 5: The Relation between Tax Treaty Law and National Law in the Definition of Immovable Property under Article 6(2) of the OECD Model

DOI: https://doi.org/10.59403/127tjcf005
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Chapter 6: Income from Immovable Property of an Enterprise in Triangular Cases: The Relationship between Articles 6, 7 and 21 of the OECD Model

DOI: https://doi.org/10.59403/127tjcf006
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Chapter 7: The Concept of “Enterprise” in the Context of Article 6 and its Possible Implications

DOI: https://doi.org/10.59403/127tjcf007
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Chapter 8: The Evolution of Article 6 of the OECD Model with Respect to Income from Agriculture, Forestry and Mining

DOI: https://doi.org/10.59403/127tjcf008
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Guglielmo Maisto

Eva Aliaga Agulló, Stefanie Baur, Joke De Bruycker, Mathieu Daudé, Alex Evans, Juan Benito Gallego López, Monica Gianni, Michele Gusmeroli, Daniel Gutmann, Justin Hamer, Jasmin Kollmann, Michael Lang, Geoffrey Loomer, Emilie Maes, Lonneke van Moorselaar, Andrea Parolini, Sophia Piotrowski, Pasquale Pistone, Paolo Ruggiero, Nicola Saccardo, Jacques Sasseville, Jonathan Schwarz, Draga Turic, Elena Variychuk.

This book is part of the EC and International Tax Law Series

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