Methods for Elimination of Double Taxation under Double Tax Treaties – with Particular Reference to the Application of Double Tax Treaties in Sweden
Abstract
Kleist, D. 2012. Methods for Elimination of Double Taxation under Double Tax Treaties –
with Particular Reference to the Application of Double Tax Treaties in Sweden. Iustus Förlag
AB. Uppsala 2012. 372 pp. ISBN 978-91-7678-816-5.
The study deals with the methods for elimination of double taxation that are applied in double tax treaties.
The first aim of the study is to systematise and analyse the methods for elimination of
double taxation under double tax treaties in order to gain a better understanding of how they work. A number of issues relating to the application of these methods are analysed. Since double tax treaties are applied by tax authorities, courts, and taxpayers in a domestic law context, i.e. within the framework of the legal system of a particular state, the analysis focuses on the application in Sweden of the methods for elimination of double taxation under double tax treaties.
The second aim of the study is to evaluate in a few selected situations the two main methods for elimination of double taxation recommended by the OECD, namely exemption with progression and ordinary credit, on the basis of whether tax neutrality is achieved. For the purpose of this study, tax neutrality is deemed to be achieved when the taxation of income relating to a cross border transaction corresponds to the tax that would have been levied in either the state of residence (i.e. capital export neutrality, “CEN”) or in the other contracting state (i.e. capital import neutrality, “CIN”), had the cross border element not been present. Furthermore, for the purpose of this study, tax neutrality is deemed to be achieved if the taxation of income relating to a cross border transaction is within the range set by CEN and CIN. The evaluation shows that ordinary credit stands a greater chance than exemption with progression of achieving an outcome which is consistent with the goal of tax neutrality in the situations selected for study.
Degree
Doctor of Laws
University
Göteborgs universitet. Handelshögskolan
Institution
Department of Law ; Juridiska institutionen
Disputation
Fredagen den 27 april 2012, kl. 10.15, SEB-salen, Handelshögskolan vid Göteborgs Universitet, Vasagatan 1
Date of defence
2012-04-27
david.kleist@law.gu.se
Date
2012-04-03Author
Kleist, David
Keywords
double taxation
double tax treaty
capital export neutrality
CEN
CIN
capital import neutrality
exemption
exemption with progression
modified exemption
limitation of the tax rate
credit
full credit
ordinary credit
tax sparing credit
foreign tax credit limitation
maximum deduction
interpretation of double tax treaties
model tax convention on income and on capital
the OECD Model
the Commentaries of the OECD Model
subject identity
timing mismatch
attribution of income
allocation of expense
RÅ 1996 ref. 84
RÅ 2008 ref. 24
RÅ 2010 ref. 112
dubbelbeskattning
dubbelbeskattningsavtal
skatteavtal
kapitalexportneutralitet
kapitalimportneutralitet
alternativ exempt
OECD:s modellavtal
Publication type
Doctoral thesis
ISBN
978-91-7678-816-5
Language
eng
Metadata
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