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29 - The Russian Federation

Published online by Cambridge University Press:  05 November 2014

Michael Lang
Affiliation:
Wirtschaftsuniversitat Wien, Austria
Pasquale Pistone
Affiliation:
Wirtschaftsuniversitat Wien, Austria
Josef Schuch
Affiliation:
Wirtschaftsuniversitat Wien, Austria
Claus Staringer
Affiliation:
Wirtschaftsuniversitat Wien, Austria
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Summary

The relevance of the OECD and UN Model Conventions and their Commentaries for the interpretation of Russian tax treaties

Introduction

The tax treaty network of the Russian Federation is broad and at present comprises seventy-eight treaties in force (as of January 2011). Two of the treaties, those with Japan and Malaysia, were concluded by the USSR in 1987 and 1988 respectively, and were on the whole based on the 1977 OECD Model Tax Convention on Income and on Capital (OECD Model). As a legal successor of the USSR, Russia continues to apply these agreements; however, all other Soviet double taxation conventions were renegotiated by Russia. The country was especially active in the negotiation process from 1994 to 2000, when between five and fourteen treaties were concluded per year. The main reason for such enthusiasm was the attempt of a newborn state system to be integrated into the world's community as soon as possible. It is no surprise that in the 1990s in the State Duma it was believed that the primary purpose of negotiating the treaties was the reciprocal encouragement of investments. In time a better understanding of the nature of tax agreements developed. It has become obvious to the Russian authorities that tax treaties do not necessarily encourage investment. Nowadays, double taxation conventions are considered as the main tool to prevent double taxation, as well as double non-taxation.

Since 2000, Russia has not concluded as many double taxation conventions as it had in the 1990s. In 2008 and 2009 there was not a single new agreement. Furthermore, the Main Directives of Russian Tax Policy for the years 2010–12, adopted by the government in 2009, do not touch upon double taxation issues and international cooperation in this sphere at all. The possible reason is the broad scope of the existing treaties. Russia enjoys agreements with practically all its main trading partners.

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Chapter
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Publisher: Cambridge University Press
Print publication year: 2012

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References

Kucherov, I.‘Impact of International Tax Law on the Process of Unification and Harmonization of Domestic Law’Karaseva, M.The Modern Problems of Tax Law TheoryVoronezhVoronezh State University 2007 472Google Scholar
Konnov, O.‘The Concept of “Beneficial Owner” in Tax Law’Collegium 6 2004 27Google Scholar
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Lang, M.Einführung in das Recht der DopplebesteuerungsabkommenViennaLinde 2002 53Google Scholar
Lang, M.Brugger, F.‘The Role of the OECD Commentary in Tax Treaty Interpretation’Australian Tax Forum 23 2008 95Google Scholar
Nikiforov, A.Chervonnaya, S.Panevina, E.‘Allocation of Head Office Expenses to a PE’Ivliyeva, M.Taxation of Foreign Companies in RussiaMoscowWolters Kluwer 2008 173Google Scholar

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