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- 2014
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Mark
The Scope of the Schumacker Doctrine - A case study of thresholds and rules that take into account the ability to pay
(
- Master (One yr)
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Mark
PE Threshold for Business Profits in E-Commerce Context-To what extent does the present Permanent Establishment threshold influence the taxation of Electronic Commerce cross-border transactions?
(
- Master (One yr)
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Mark
Subject-to-tax clauses in Swedish double tax conventions concluded between 2004 - 2014
(
- Master (One yr)
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Mark
The Preferred Treatment of the Fixed Establishment in the European VAT
(
- Master (One yr)
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Mark
Neutralisation of discrimination in direct taxation: the problem of applicability from the perspective of tax treaties and 'opt in' domestic clauses
(
- Master (One yr)
-
Mark
Attribution of Free Capital and Interest Expenses to a Permanent Establishment under the ‘Authorised OECD Approach’ for non-financial Enterprises What is the Impact of Interest Attribution on the Allocation of Profits under the new Approach?
(
- Master (One yr)
-
Mark
Status and impact of the ability to pay principle in the ECJ's case law concerning tax benefits based on personal and family circumstances
(
- Master (One yr)
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Mark
Should the EU Adopt the Kiwi Approach for Taxing General Insurance Transactions?
(
- Master (One yr)
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Mark
The Need for Discretionary Provisions to Prevent Avoidance, Abuse and Evasion
(
- Master (One yr)
-
Mark
Adjustment of output VAT in EU law
(
- Master (One yr)