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- 2020
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Mark
In What Way Does the Russian GAAR Comply With EU ATAD and BEPS Rules?
- Master (One yr)
-
Mark
Do we need a new definition of Permanent Establishment for digital operations in Double Tax Treaties?
- 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)
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Mark
The relevance of incidental transactions for pro-rata deduction of input VAT under the VAT Directive
- Master (One yr)
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Mark
The Impact and the Meaning of the Tesco-Vodafone CJEU cases in respect of the Digital Service Tax
- Master (One yr)
- 2019
-
Mark
Fiscal Sovereignty and State Aid in the field of Direct Taxation of EU Law
- Master (One yr)
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Mark
Requirements for chain transactions in European VAT
- Master (One yr)
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Mark
Non Performed Contracts in European VAT in the Light of the Newest Jurisprudence of the CJEU
- Master (One yr)
-
Mark
Tax Challenges of the Digital Economy: Does a Withholding Tax on Certain Digital Transactions Solve the Problem of Missing Taxation Rights, While Being In Line with EU-Law and the OECD Model Convention?
- Master (One yr)
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Mark
Does the Substance over Form approach implemented as a result of the BEPS package reconciles the Permanent Establishment definition with the existence of economic allegiances?
- Master (One yr)