Revisiting Article 21 (Other Income) of the OECD Model

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Why this book?
Revisiting Article 21 (Other Income) of the OECD Model is a detailed and comprehensive study on article 21 of the OECD Model and includes the reports presented at the annual conference held in Milan in November 2023, together with individual country reports.
First, the book examines the history of article 21 of the OECD Model and its policy rationale, also discussing whether the residence exclusive right to tax is (still) justified.
Next, the book moves to analyse the income covered by article 21 of the OECD Model and the way in which this article operates in relation to the other distributive rules of the OECD Model and tax treaties. In more detail, the book addresses the relationship between the “other income” provision and the following items of income: fictitious income, business income, investment income, capital gains and income derived from trusts, as well as income from government services. Furthermore, the book addresses the role and operation of article 21 of the OECD Model in relation to income from third states.
Then, the book considers the “other income” provision in the UN Model and other treaty models, focusing on notable deviations in tax treaties.
Finally, the book considers possible improvements to article 21 of the OECD Model and its Commentary.
As mentioned earlier, individual country reports complete the book, providing an in-depth analysis of the specific domestic tax regimes and tax treaty practice of several EU and non-EU Member States, namely Austria, Belgium, Brazil, Finland, France, Germany, India, Italy, Luxembourg, Mexico, the Netherlands, New Zealand, Norway, Spain, Sweden, Switzerland, the United Kingdom and the United States.
This book provides a unique and detailed analysis of some of the most important issues concerning article 21 of the OECD Model. As such, it is an essential reference for international tax students, practitioners and academics.
Revisiting Article 21 (Other Income) of the OECD Model is a detailed and comprehensive study on the “other income” provision under tax treaties.
Revisiting Article 21 (Other Income) of the OECD Model
DOI: https://doi.org/10.59403/qgcwxf
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Chapter 1: Drawing Interpretative Value From the History of Article 21(2) of the OECD Model
DOI: https://doi.org/10.59403/qgcwxf001
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Chapter 2: Policy Perspective: Is the Residence Exclusive Right to Tax Questionable?
DOI: https://doi.org/10.59403/qgcwxf002
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Chapter 3: The Qualification of Fictitious Income under Tax Treaties
DOI: https://doi.org/10.59403/qgcwxf003
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Chapter 4: Business Income versus Other Income
DOI: https://doi.org/10.59403/qgcwxf004
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Chapter 5: Investment Income versus Other Income
DOI: https://doi.org/10.59403/qgcwxf005
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Chapter 6: Income from Trusts and Article 21 of the OECD Model
DOI: https://doi.org/10.59403/qgcwxf006
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Chapter 7: Other Income and Government Services
DOI: https://doi.org/10.59403/qgcwxf007
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Chapter 8: Income from Third States and the “Other Income” Provision
DOI: https://doi.org/10.59403/qgcwxf008
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Chapter 9: Article 21(3) of the UN Model Double Taxation Convention between Developed and Developing Countries
DOI: https://doi.org/10.59403/qgcwxf009
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Chapter 10: Other Income in Tax Treaty Practice: The Normative Profiles Used by Contracting States
DOI: https://doi.org/10.59403/qgcwxf010
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Chapter 11: Other Income in Model and Multilateral Tax Treaties
DOI: https://doi.org/10.59403/qgcwxf011
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Chapter 12: Possible Changes to Article 21 of the OECD Model and Its Commentary
DOI: https://doi.org/10.59403/qgcwxf012
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Chapter 13: Towards a New Article 21 of the OECD Model
DOI: https://doi.org/10.59403/qgcwxf013
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Chapter 14: Austria
DOI: https://doi.org/10.59403/qgcwxf014
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Chapter 15: Belgium
DOI: https://doi.org/10.59403/qgcwxf015
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Chapter 16: Brazil
DOI: https://doi.org/10.59403/qgcwxf016
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Chapter 17: Finland
DOI: https://doi.org/10.59403/qgcwxf017
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Chapter 18: France
DOI: https://doi.org/10.59403/qgcwxf018
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Chapter 19: Germany
DOI: https://doi.org/10.59403/qgcwxf019
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Chapter 20: India
DOI: https://doi.org/10.59403/qgcwxf020
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Chapter 21: Italy
DOI: https://doi.org/10.59403/qgcwxf021
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Chapter 22: Luxembourg
DOI: https://doi.org/10.59403/qgcwxf022
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Chapter 23: Mexico
DOI: https://doi.org/10.59403/qgcwxf023
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Chapter 24: Netherlands
DOI: https://doi.org/10.59403/qgcwxf024
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Chapter 25: New Zealand
DOI: https://doi.org/10.59403/qgcwxf025
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Chapter 26: Norway
DOI: https://doi.org/10.59403/qgcwxf026
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Chapter 27: Spain
DOI: https://doi.org/10.59403/qgcwxf027
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Chapter 28: Sweden
DOI: https://doi.org/10.59403/qgcwxf028
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Chapter 29: Switzerland
DOI: https://doi.org/10.59403/qgcwxf029
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Chapter 30: United Kingdom
DOI: https://doi.org/10.59403/qgcwxf030
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Chapter 31: United States
DOI: https://doi.org/10.59403/qgcwxf031
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Guglielmo Maisto
This book is part of the EC and International Tax Law Series