Hybrid Entities and Conflicts of Allocation of Income Within Tax Treaties: Is New Article 1(2) of the OECD Model (Article 1(3) of the MLI) the Best Solution Available?

Parada, L (2018) Hybrid Entities and Conflicts of Allocation of Income Within Tax Treaties: Is New Article 1(2) of the OECD Model (Article 1(3) of the MLI) the Best Solution Available? British Tax Review, 2018 (3). pp. 335-376. ISSN 0007-1870

Abstract

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Authors/Creators:
  • Parada, L
Keywords: tax treaties, hybrid entities, tax transparent entities, OECD Model, Multilateral Instrument, saving clause, BEPS
Dates:
  • Published (online): 19 December 2018
  • Published: 13 September 2018
Institution: The University of Leeds
Academic Units: The University of Leeds > Faculty of Education, Social Sciences and Law (Leeds) > School of Law (Leeds)
Depositing User: Symplectic Publications
Date Deposited: 16 Oct 2020 13:11
Last Modified: 04 Jan 2021 14:11
Published Version: https://www.sweetandmaxwell.co.uk/Catalogue/Produc...
Status: Published
Publisher: Sweet and Maxwell

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