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- 2023
-
Mark
Head in the sand when trust income is in sight? Analysis of double taxation of trust income originating from dividends in light of Articles 49 and 63 TFEU.
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- Master (One yr)
-
Mark
Does the solidarity contribution under the Council Regulation (EU) 2022/1854 on an emergency intervention to address high energy prices infringe the protection of property guaranteed by the European Convention of Human Rights?
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- Master (One yr)
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Mark
Is this the end of the Marks & Spencer Doctrine? - The Freedom of Establishment, Permanent Establishments and Objective Comparability
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- Master (One yr)
- 2022
-
Mark
Taxation of influencers: A double taxation or a non-double taxation issue?
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- Master (One yr)
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Mark
Sweden as a tax haven - A research regarding if a tax haven can conduct high taxes and what other characteristics may be
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- Master (One yr)
-
Mark
The DAC and primary law: effectiveness of taxpayer’s rights to privacy and personal data protection
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- Master (One yr)
-
Mark
Environmental tax as a measure for achieving sustainable development obligations in the EU
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- Master (One yr)
- 2021
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Mark
Is there a collision between the EU Charter and the obligation to notify that intermediaries with legal professional privilege have under DAC 6?
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- Master (One yr)
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Mark
Holding companies’ sale of shares: the underlying purpose test in the context of a direct and immediate link
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- Master (One yr)
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Mark
Does the deferred payment method of Art. 5 ATAD provide for a technique proportionate to mitigate liquidity disadvantages of exit taxes?
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- Master (One yr)
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Mark
Preventing Double Taxation Through Administrative Cooperation in VAT
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- Master (One yr)
- 2020
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Mark
The intrinsic direct link of economic activities and Carpooling: The Administrative Court of the Region of Madrid vs Carpool peer-providers
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- Master (One yr)
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Mark
The new Spanish digital service tax; will it pass the selectivity criterion on State aid grounds?
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- Master (One yr)
-
Mark
Sweden’s implementation of DAC 6 – A proportionate measure to prevent tax avoidance and evasion in the form of aggressive tax planning
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- Master (One yr)
-
Mark
Comparability Approaches of the CJEU Regards Dividends Received by Non-Resident CIVs: Is the Primary Law Sufficient or Not?
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- Master (One yr)
-
Mark
Corporate donations to charities. Comparison between Finnish and Swedish tax legislation and the compatibility with the EU law.
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- Master (One yr)
-
Mark
In What Way Does the Russian GAAR Comply With EU ATAD and BEPS Rules?
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- Master (One yr)
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Mark
Do we need a new definition of Permanent Establishment for digital operations in Double Tax Treaties?
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- Master (One yr)
- 2019
-
Mark
Fiscal Sovereignty and State Aid in the field of Direct Taxation of EU Law
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- 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?
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- Master (One yr)
-
Mark
GAAR implementation in the Netherlands: does fraus legis suffice?
(
- Master (One yr)
-
Mark
Can the Arm’s Length Principle in the OECD Transfer Pricing Guidelines Fulfil the Minimum Requirements of the Transaction Approach in the Controlled Foreign Company Rules under Anti-Tax Avoidance Directive?
(
- Master (One yr)
- 2018
-
Mark
Discriminatory withholding taxation for foreign investment funds.
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- Master (One yr)
-
Mark
Tipping of Justitia’s Scale: The Compatibility of Mandatory Disclosure for Intermediaries with the Right against Self-Incrimination and the Right to Confidentiality
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- Master (One yr)