41 – 50 of 176
- show: 10
- |
- sort: year (new to old)
Close
Embed this list
<iframe src=" "
width=" "
height=" "
allowtransparency="true"
frameborder="0">
</iframe>
- 2020
-
Mark
Transfer pricing rules as trade restrictions: Is the OECD’s HTVI approach compatible with the EU fundamental freedoms?
(
- Master (One yr)
-
Mark
Comparability Approaches of the CJEU Regards Dividends Received by Non-Resident CIVs: Is the Primary Law Sufficient or Not?
(
- Master (One yr)
-
Mark
Valuation of Transactions Related to Intangibles from Transfer Pricing and VAT Perspective
(
- Master (One yr)
-
Mark
The incompatible Definitions of Intangibles between the OECD Guidelines and the U.S. Tax Cuts and Jobs Act from a Transfer Pricing Perspective.
(
- Master (One yr)
-
Mark
The Merger Directive 2009/133/EC ; a limited help to the cross-border mobility?
(
- Master (One yr)
-
Mark
(E)merging value decreases in transferred assets - A study on tax aspects regarding post-merger value decreases in assets transferred upon merger
(
- Master (One yr)
-
Mark
Corporate donations to charities. Comparison between Finnish and Swedish tax legislation and the compatibility with the EU law.
(
- Master (One yr)
-
Mark
Do we need a new definition of Permanent Establishment for digital operations in Double Tax Treaties?
(
- Master (One yr)
-
Mark
In What Way Does the Russian GAAR Comply With EU ATAD and BEPS Rules?
(
- Master (One yr)
-
Mark
The Impact and the Meaning of the Tesco-Vodafone CJEU cases in respect of the Digital Service Tax
(
- Master (One yr)