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- 2017
-
Mark
ATAD happened – Legislating on Tax Avoidance in the EU and Implementing the Directive in Finland
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- Master (One yr)
- 2016
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Mark
Hybrid Mismatch Arrangements Within EU: Under what Conditions could Single Taxation Be Secured?
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- Master (One yr)
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Mark
Transfer Pricing Treatment of Transactions with Hard-to-Value Intangibles: Is BEPS Action 8 Based on the Arm’s Length Principle?
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- Master (One yr)
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Mark
How can the proposed changes to the OECD tax model convention in action 1 and action 7 counter the issue of an artificial avoidance of a PE status?
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- Master (One yr)
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Mark
BEPS Action plan 13 in the light of confidentiality
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- Master (One yr)
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Mark
Neutralizing the Effects of Hybrid Mismatch Arrangements on a EU Level - To what extent can Member States be obliged to align their tax systems to each other?
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- Master (One yr)
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Mark
The special schemes for small enterprises and farmers in EU VAT on the example of Germany
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- Master (One yr)
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Mark
Legal limits to promoting equity capital investments using fiscal measures - State aid perspective
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- Master (One yr)
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Mark
Is BEPS Action 6 “Preventing Treaty abuse” compatible with the EU Law concept of abuse?
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- Master (One yr)
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Mark
The Principal Purpose Test under BEPS Action 6: Does the OECD Proposal Fit the EU Legal Framework?
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- Master (One yr)