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- 2016
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Mark
Financing Costs and Overhead Deduction in Cross-Border Transaction - A Requirement of EU Law?
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- Master (One yr)
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Mark
BEPS Action 6 - An inclusion of anti-abuse measures in tax treaties to prevent the improper use of a tax treaty - Are the measures suggested in BEPS Action 6 necessary from a Swedish perspective?
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- Master (One yr)
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Mark
Limitations on interest deductions: does BEPS action 4 presume tax avoidance?
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- Master (One yr)
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Mark
The concept of independence within the meaning of Articles 9(1) and 10 of the VAT Directive
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- Master (One yr)
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Mark
Cross-border taxation of employee stock options - Is the Swedish Supreme Administrative Court’s ruling in case 1480-15 and 1483-15 regarding taxation of employee stock options supported by the case law provided by the European Court of Justice?
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- Master (One yr)
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Mark
VAT in a federal structure: the feasibility of implementation of a single, broader-based VAT in Brazil, within the parameters of the EU VAT model
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- Master (One yr)
- 2015
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Mark
Developing Issues on Withholding Tax on Outgoing Dividends in the European Union
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- Master (One yr)
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Mark
Are the Swedish Cross-Border Group Deduction Rules compatible with European Union Law?
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- Master (One yr)
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Mark
Potential double tax treaty override of South African exit taxation law – how do tax treaties allocate the right to tax unrealized gains?
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- Master (One yr)
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Mark
Linking Rules Assessed Against European and National Legal Benchmarks - A Juridical Remedy to Mitigate Double Non-Taxation?
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- Master (One yr)