International Juridical Double Taxation from an Ability-to-Pay Perspective under EU Law

Specificaties
Gebonden, 214 blz. | Engels
Kluwer Law International | 1e druk, 2024
ISBN13: 9789403502984
Kluwer Law International 1e druk, 2024 9789403502984
Verwachte levertijd ongeveer 11 werkdagen

Samenvatting

EUCOTAX Series on European Taxation # 72

International Juridical Double Taxation from an Ability-to-Pay Perspective under EU Law, the pioneering in-depth treatment of this perspective, is a book that enables taxpayers facing international juridical double taxation to comprehend how their ability to pay is protected under EU law and the limitations that protection faces. The obstacles arising from the parallel exercise of Member States' tax sovereignty have been examined by the CJEU and intensely discussed by scholars. By uncovering a paradox in the CJEU's case law, this revolutionary book furnishes a constructive alternative to the deadlock created by the CJEU when ruling that international juridical double taxation, although constituting an obstacle to free movement, is not contrary to EU law.

 

What's in this book:

Every aspect of the matter is carefully and thoroughly examined, including the following:

 

  •           important differences between the traditional notion of double taxation and the current definition under Council Directive 2017/1852;
  •           legal means and methods designed to eliminate international juridical double taxation and the policies underlying them;
  •           freedoms of movement as prohibitions that limit the exercise of Member States' taxing powers;
  •           consideration of expenses related to economic activity and personal and family circumstances; and
  •           in-depth discussion of taxation of income derived from source versus residence Member State.

 

Across all chapters, the author refers to the case law of the CJEU on international juridical double taxation and taxpayers' ability to pay, as well as the relevant academic literature, allowing the reader to understand the current state of EU law on these matters and their relation.

 

How this will help you:

The author's remarkable venture into this challenging field, with a deeply informed construction of instrumental categories and a critical review of their content, concludes with a viable reformulation of the grave and rising problem of international juridical double taxation. The book will be appreciated by taxation professionals in practice, policymakers, and academia.

Author:

Maria Júlia Ildefonso Mendonça

Specificaties

ISBN13:9789403502984
Taal:Engels
Bindwijze:gebonden
Aantal pagina's:214
Druk:1
Verschijningsdatum:1-2-2024

Inhoudsopgave

List of Figures
List of Tables
List of Abbreviations
Preface
Acknowledgement

Chapter 1 Introduction
Chapter 2 The Normative Framework: Implementing the Benefit(s) Principle to Achieve Market Neutrality
Chapter 3 An Overview of Policy Options Towards a Benefit-Based Market-Neutral Formula: Putting Old Wine in a New Bottle
Chapter 4 Towards the Market-Neutral Sales Factor: A Customer-Centred Destination-Based Sales Factor
Chapter 5 Towards the Market-Neutral Labour Factor
Chapter 6 Towards the Market-Neutral Asset Factor
Chapter 7 Towards Market-Neutral Industry-Specific Formulas: Rediscovering the Roots of Formulary Apportionment
Chapter 8 The Procedural Weapon Towards a Market-Neutral Apportionment Result: The Safeguard Clause
Chapter 9 Conclusions

Bibliography
Table of Legislation
Index

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