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3 - Source Country Taxation

Published online by Cambridge University Press:  29 February 2020

Peter Harris
Affiliation:
University of Cambridge
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Summary

Considers source country taxing rights under tax treaties. Initially follows the schedular approach of the OECD Model, the distributive provisions of which give source countries full taxing rights (immovable property, business, employment), limited taxing rights (dividends, interest) or no taxing rights (royalties, capital gains, other income). Source country rights, even if full, may be limited by treaty nondiscrimination provisions, which are compared to EU fundamental freedoms. Particular attention is devoted to taxation of business profits, including source country subsidiaries and permanent establishments. Problems inherent in the dual fictions of the authorised OECD approach to taxation of permanent establishments are noted. The second heading considers source country deductibility of payments made to non-residents. Deductibility of these payments can lead to base erosion while denying deductions raises issues of discrimination. The final heading first considers two fundamental features of payments that are critical for source country taxation; quantification and characterisation. Quantification raises issues of transfer pricing. Varying taxation based on characterisation raises issues of fungibility of payments, particularly in the definitions of ‘dividends’, ‘interest’ and ‘royalties’. These issues crossover in excessive interest payments and thin capitalisation. Finally, the chapter deals with reconciliation of provisions under the schedular approach.

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Publisher: Cambridge University Press
Print publication year: 2020

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  • Source Country Taxation
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.005
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  • Source Country Taxation
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.005
Available formats
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Save book to Google Drive

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Google Drive.

  • Source Country Taxation
  • Peter Harris, University of Cambridge
  • Book: International Commercial Tax
  • Online publication: 29 February 2020
  • Chapter DOI: https://doi.org/10.1017/9781108774994.005
Available formats
×