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- 2023
-
Mark
The Swedish tax rules for electricity production in breach of EU tax law
(
- Master (One yr)
-
Mark
Problems caused by unilateral measures while taxing the digital economy: Does the value creation approach suggested by OECD solve the problem?
(
- Master (One yr)
-
Mark
Legal analysis of an EU DST: Is there a legal basis for it under EU law and would it violate the EU's duty to respect international law?
(
- Master (One yr)
-
Mark
The digital economy and its implications: does the OECD’s Pillar One Proposal challenge the principles of law within International and EU tax law?
(
- Master (One yr)
-
Mark
Where is a digital company taxed?
(
- Master (One yr)
- 2022
-
Mark
Article 20 of the Charter of Fundamental Rights – A Weapon against EU Secondary Law Tax Legislation? – An Assessment in Light of the ECOFIN Pillar 2 Directive Proposal
(
- Master (One yr)
-
Mark
Pending Case C-694/20 and Occasion to Review the Charter's Scope in the Field of Taxation
(
- Master (One yr)
-
Mark
Targeted interest deduction limitation rules post-Lexel
(
- Master (One yr)
-
Mark
The Distribution Tax Regime Paradox - Compatibility of Estonian Tax Treatment of Non-Residents’ Capital Gains from Alienation of Immovable Property with European Law
(
- Master (One yr)
-
Mark
Transfer pricing adjustments derived from state aid cases - Are corresponding adjustments mandatory for EU Member States?
(
- Master (One yr)
- 2021
-
Mark
Rapporteringspliktiga arrangemang - Får den enskilde vägra lämna uppgifter utan risk för sanktion?
(
- Bach. Degree
-
Mark
Tax challenges arisen from the digital economy: compliance of the French DST with European Union Law
(
- Master (One yr)
-
Mark
Secondary Transfer Pricing Adjustments: Interpretation Challenges within the EU and International Perspectives
(
- Master (One yr)
-
Mark
Whether nexus rules under EU Commission proposal of Significant digital presence rules is compatible with separate provisions of international tax law
(
- Master (One yr)
-
Mark
Justifying Mobility Hindrance in the Name of Public Health and Its Tax Implication in the European Union
(
- Master (One yr)
-
Mark
Korrigering av gränsöverskridande transaktioner - Om korrigeringsregelns restriktiva inverkan på etableringsfriheten
(
- Bach. Degree
-
Mark
Hybrida missmatchningar i ATAD 2 och dess implementering i svensk rätt - Förenligt med etableringsfriheten?
(
- Bach. Degree
- 2020
-
Mark
The relevance of incidental transactions for pro-rata deduction of input VAT under the VAT Directive
(
- Master (One yr)
-
Mark
The incompatability of art. 4 ATAD with freedom of establishment: Evidence from the Swedish implementation
(
- Master (One yr)
-
Mark
The Compatability of the OECD MNA with EU Fundamental Freedoms and the Case Law on Abuse
(
- Master (One yr)
-
Mark
Is the Swedish tax law requirement of contractual form on third states investment funds in line with EU law?
(
- 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
Skatteflyktsdirektivets allmänna regel mot missbruk - En analys av bestämmelsens räckvidd
(
- Prof. qual. >4 yrs
-
Mark
The Impact and the Meaning of the Tesco-Vodafone CJEU cases in respect of the Digital Service Tax
(
- Master (One yr)
- 2019
-
Mark
Nya Ränteavdragsbegränsningsregler - En redogörelse och analys av reglernas utformning och syfte
(
- Bach. Degree
-
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)
-
Mark
Double Taxation Resulting from the ATAD: Is There A Relief?
(
- Master (One yr)
- 2018
-
Mark
Lag mot skatteflykt och EU:s krav på icke-genuina arrangemang
(
- Bach. Degree
-
Mark
European Commission's proposal to implement a new permanent establishment nexus based on significant digital presence - Is it compliant with the EU Law and international tax principles?
(
- Master (One yr)
-
Mark
How the concept of fairness influences EU law
(
- Master (One yr)
-
Mark
Does the taxation of permanent establishment ensure source-based taxation on business profits? - An analysis of cross-border services
(
- Master (One yr)
- 2017
-
Mark
Aggressive Tax Planning – Challenge of the Digital Era
(
- Master (Two yrs)
-
Mark
Reservations and Compatibility Clauses in the Multilateral Instrument: Overcoming New Interpretative Challenges
(
- Master (One yr)
-
Mark
ATAD happened – Legislating on Tax Avoidance in the EU and Implementing the Directive in Finland
(
- Master (One yr)
-
Mark
Cross border mergers in Sweden; Whether the Swedish merger rules comply with EU law
(
- Master (One yr)
-
Mark
Skatteflykt - Etableringsfrihet, missbruk eller verklig innebörd
(
- Bach. Degree
-
Mark
The Anti-Tax Avoidance Directive and its Compatibility with Primary EU Law (Competence: Subsidiarity and Proportionality)
(
- Master (Two yrs)
-
Mark
To what extent the Anti-abuse measures concerning the interest limitation rule can be introduced into Member States without breaching EU law?
(
- Master (One yr)
- 2016
-
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?
(
- Master (One yr)
-
Mark
Limitations on interest deductions: does BEPS action 4 presume tax avoidance?
(
- Master (One yr)
-
Mark
Hybrid Mismatch Arrangements Within EU: Under what Conditions could Single Taxation Be Secured?
(
- Master (One yr)
-
Mark
Legal limits to promoting equity capital investments using fiscal measures - State aid perspective
(
- Master (One yr)
-
Mark
Is BEPS Action 6 “Preventing Treaty abuse” compatible with the EU Law concept of abuse?
(
- Master (One yr)
-
Mark
Financing Costs and Overhead Deduction in Cross-Border Transaction - A Requirement of EU Law?
(
- Master (One yr)
- 2015
-
Mark
Cross-border Loss Utilization Concerning the Tax Treatment of a Taxpayer’s Own Losses Attributable to a Permanent Establishment in Relation to the Territoriality Principle –From an International and EU law Perspective
(
- Master (One yr)
-
Mark
The Swedish Interest Deduction Limitation Rules - To Be Or Not To Be
(
- Master (One yr)
-
Mark
To What Extent Can Member States Have Anti-Avoidance Rules Limiting Interest Deduction? - an Analysis From a Swedish Perspective
(
- Master (One yr)
-
Mark
Exit Taxation in the European Union, Is there really a problem?
(
- Master (One yr)
-
Mark
Developing Issues on Withholding Tax on Outgoing Dividends in the European Union
(
- Master (One yr)
-
Mark
Potential double tax treaty override of South African exit taxation law – how do tax treaties allocate the right to tax unrealized gains?
(
- Master (One yr)
-
Mark
Linking Rules Assessed Against European and National Legal Benchmarks - A Juridical Remedy to Mitigate Double Non-Taxation?
(
- Master (One yr)
-
Mark
How Countries in European Union has Solved Problem of Tax Avoidance and Collection of Cross-border Transaction in an Integrated Common Market Tax Area. Optimizing Tax Collection in Indonesia, Lessons from European Union's Recovery of Collection Directive, Automatic Exchange Directive, and Savings Directive
(
- Master (One yr)
-
Mark
Treaty Override in German Domestic Law - In Line with the Constitution?
(
- Master (One yr)
-
Mark
How do Unilateral APAs overcome the issues of legitimate expectations, tax transparency and state aid in the European Union?
(
- Master (One yr)
-
Mark
An Examination of Some of the Cross-Border Tax Issues Surrounding Charities and Charitable Donors: To What Extent Can EU Member States Restrict the Reach of Their Charitable Tax Incentives and is State Aid an Issue?
(
- Master (One yr)
-
Mark
A Comparative Approach to the Order of Priority of the Allocation of Taxing Rights over Business Profits in the OECD MC, the UN MC and the Andean Pact MC – The PE broadening. An Argentinean example.
(
- Master (One yr)
- 2014
-
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)
-
Mark
Assessment of "Anti-Hybrid" Approach to the Problem of Aggressive Tax Planning in the light of the European Commission’s proposal to amend Article 4(1)(a) of the Parent-Subsidiary Directive
(
- Master (One yr)
-
Mark
Ränteavdragsbegränsningsregeln - Hur påverkar beneficial owner rent konstlade upplägg?
(
- Bach. Degree
-
Mark
Incitamentsprogram och individbeskattning vid förmånsförvärv av värdepapper - En analys av neutralitetsbristen i regelsystemet
(
- Bach. Degree
- 2013
-
Mark
Interest Deduction Limitation Rules in Sweden and Germany - A Comparison Regarding EU Law Compatibility and Appropriateness
(
- Master (One yr)
-
Mark
Prohibition of the Discriminatory Income Tax Measures under WTO Law
(
- Master (One yr)
-
Mark
Should net wealth and property taxation be introduced in the United Kingdom?
(
- Master (One yr)
-
Mark
Comparative Analysis of the United Kingdom Judicial Anti- Avoidance Rule and GAAR of Canada - Lesson for the UK from Canada
(
- Master (One yr)
- 2012
-
Mark
Which legal entity is entitled to a treaty protection?
(
- Master (One yr)
-
Mark
Freedom of secondary establishment: Branch and Subsidiary. Tax perspective.
(
- Master (Two yrs)
-
Mark
Cross Border Loss Relief
(
- Master (One yr)
-
Mark
The many facets of export subsidies in WTO
(
- Bach. Degree
-
Mark
Cross-Border Loss Relief and Finality of Losses after Marks & Spencer
(
- Master (One yr)
-
Mark
To what extent are tax incentives for research & development compatible with European Union Law?
(
- Master (One yr)
-
Mark
Squaring the Circle : The Role of the OECD Commentaries For the Interpretation of Tax Treaties Between the OECD and non-OECD States
(
- Master (One yr)
-
Mark
The Relationship Between the General Legal Principle of Equality and the Equal Treatment Principle in the Direct Tax Judgements of the Court of Justice of the European Union: the Consequences for National Sovereignty
(
- Master (One yr)
-
Mark
Supplementary Old-age Pension Systems
(
- Master (Two yrs)
-
Mark
Skatteregler för en idrottskoncern - Med fokus på internprissättning
(
- Bach. Degree
- 2011
-
Mark
Avräkning av utländsk skatt
(
- Prof. qual. >4 yrs
-
Mark
The Swedish Group Taxation Regime and EU Law
(
- Prof. qual. >4 yrs
-
Mark
The Swedish intra‐group deduction and its compatibility with EU Law
(
- Prof. qual. >4 yrs
-
Mark
"Does Avoidance of Member State's Tax Justify Hindrance of Treaty Freedoms?"
(
- Master (One yr)
- 2010
-
Mark
Svenska internprisregler - en analys utifrån EU-rätten och EKMR
(
- Prof. qual. >4 yrs
- 2009
-
Mark
Gränsöverskridande stöd till närstående företag - en skatterättslig analys av den franska regimen för fordringsavskrivningar och territorialitetsprincipen.
(
- Prof. qual. >4 yrs
-
Mark
The Treatment of dividend payments in EC Direct Tax Law
(
- Prof. qual. >4 yrs
-
Mark
EU, den fria rörligheten och asyl - En studie av EU:s viseringsregler och Dublinförordningen
(
- Bach. Degree
- 2008
-
Mark
Single market for occupational pensions - are we there yet?
(
- Prof. qual. >4 yrs
-
Mark
CFC-legislation, the Freedom of Establishment and Tax Treaties- A Comparative Study in the Light of the Cadbury-Schweppes judgement
(
- Prof. qual. >4 yrs
-
Mark
EC Procedural Protection: The Principles of Effectiveness and Equivalence - With Particular Focus on Swedish Tax Procedural Law
(
- Prof. qual. >4 yrs
- 2007
-
Mark
An EC without withholding taxes? - The role of tax treaties in ECJ:s discrimination-assessment
(
- Prof. qual. >4 yrs
- 2006
-
Mark
Contemporary Challenges of Public Pension Systems and Their Effects on Pension Reform Choices in European and Candidate countries
(
- Master (One yr)
- 2005
-
Mark
Most-Favoured-Nation Treatment in an EC Tax Law Perspective - A Special Focus on the Principle's Effect on the Limitation on Benefits Clauses in Double Taxation Conventions
(
- Prof. qual. >4 yrs
-
Mark
Legal restraints when doing Business in Europe? An assessment on Competition Legislation on Vertical Relations in the European Automotive Industry
(
- Master (One yr)
-
Mark
Is Home State Taxation a step forward for SMEs? An SME’s ability for growth and integration in the EU after the HST tax reform
(
- Master (One yr)