We use cookies to distinguish you from other users and to provide you with a better experience on our websites. Close this message to accept cookies or find out how to manage your cookie settings.
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 .
To save content items to your Kindle, first ensure [email protected]
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.
Considers bilateral tax administration issues. Identifies the core areas of tax administration (provision of information, assessment, dispute resolution and collection of tax) and tax treaty rules targeted at three of these. Discusses automatic exchange of information, spontaneous exchange of information and information on request. Notes the importance of the 1988 multilateral convention on assistance in tax matters and developments and the BEPS project including the common reporting standard, country-by-country reporting and the tax inspectors without borders project. With regard to dispute resolution, the mutual agreement procedure in tax treaties is discussed as a logical extension to a domestic binding rulings system. The extension of that procedure to arbitration of tax disputes is considered, particularly the push toward arbitration under the BEPS project and the MLI. Finally, assistance in the collection of tax by one tax authority on behalf of another tax authority is discussed. The discussion considers the recent break down of an original resistance to assistance in collection and the importance of the 1988 multilateral convention is again noted. Relevant EU Law is discussed, including the Directive on Cooperation in the Field of Taxation, Directive on Dispute Resolution Mechanisms and Directive on Mutual Assistance for Recovery of Tax Claims.
Recommend this
Email your librarian or administrator to recommend adding this to your organisation's collection.