Skip to main content Accessibility help
×
Hostname: page-component-78c5997874-94fs2 Total loading time: 0 Render date: 2024-11-10T20:17:46.107Z Has data issue: false hasContentIssue false

2 - The Jurisdiction to Tax

Published online by Cambridge University Press:  29 February 2020

Peter Harris
Affiliation:
University of Cambridge
Get access

Summary

Discusses the jurisdiction or right to tax international commercial transactions, including identification of relevant connecting factors, which may be based on the person deriving the income or activities producing the income. In the context of persons, the discussion considers the characterisation of persons under domestic law and its interaction with entity characterisation under tax treaties. It moves to consider residence as a connecting factor, both under domestic law and tax treaties and tax treaty tiebreakers applicable to dual residents. Residence is fundamental to the application of tax treaties. The discussion briefly considers the location of activities that found a jurisdiction to tax based on source of income. These matters are compared to the scope of the fundamental freedoms and relevant Directives under EU Law. The discussion then considers divided economic allegiance and particularly where source and residence are divided between countries. Various notions of neutrality and efficiency are discussed, as well as rules preventing cross-border restrictions, including nondiscrimination. Focus moves to the internation relationship including the OECD harmful tax competition project and BEPS project. These are compared with EU state aid rules and the EU code of conduct on harmful tax practices. Methods of allocating tax rights are discussed.

Type
Chapter
Information
Publisher: Cambridge University Press
Print publication year: 2020

Access options

Get access to the full version of this content by using one of the access options below. (Log in options will check for institutional or personal access. Content may require purchase if you do not have access.)

Save book to Kindle

To save this book to your Kindle, first ensure coreplatform@cambridge.org is added to your Approved Personal Document E-mail List under your Personal Document Settings on the Manage Your Content and Devices page of your Amazon account. Then enter the ‘name’ part of your Kindle email address below. Find out more about saving to your Kindle.

Note you can select to save to either the @free.kindle.com or @kindle.com variations. ‘@free.kindle.com’ emails are free but can only be saved to your device when it is connected to wi-fi. ‘@kindle.com’ emails can be delivered even when you are not connected to wi-fi, but note that service fees apply.

Find out more about the Kindle Personal Document Service.

  • The Jurisdiction to Tax
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.004
Available formats
×

Save book to Dropbox

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Dropbox.

  • The Jurisdiction to Tax
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.004
Available formats
×

Save book to Google Drive

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Google Drive.

  • The Jurisdiction to Tax
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.004
Available formats
×