Interpreting Tax Treaties: The Importance of Post-Treaty Commentary to the OECD Model Tax Convention for Achieving Uniformity and Ensuring the Success of the New International Tax Order
Mulilateral Tax Reform
The Taxation of Robots and Its Global Challenges
Principles Justifying the Reallocation of Taxing Rights to Market Jurisdictions: Do We Need Them?
This article argues that market jurisdictions' taxing rights under Pillar One are justified by widely accepted principles in international taxation. These principles—such as ability to pay, the benefits principle, and economic allegiance—provide a normative basis for tax jurisdiction and are essential for the legitimacy and equity of the international tax regime. Despite criticisms of their vagueness and overlaps, the benefits principle and economic allegiance play a crucial role in designating countries with a legitimate claim to tax international income. The article contends that a principled allocation of taxing rights is not only desirable but a moral necessity for international coordination.
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Taxation and the Realisation of Socioeconomic Rights in Africa: What Is the Role of International Cooperation?
The Role of the Investor Motive in the Effectiveness of Tax Incentives: Evidence for FDI Location in Indonesia
Tax Hybridity and the Globalization of Taxation: Convergence, Borrowing, Culture
A Global Minimum Tax for Large Firms Only: Implications for Tax Competition
Detecting Cross-Border Transaction Patterns Using Machine Learning: The Case of Indonesia
Tax Challenges Arising from the Digitalisation of the Economy – Consolidated Commentary to the Global Anti-Base Erosion Model Rules (2023)
Profit-Shifting Elasticities, Channels, and the Role of Tax Havens: Evidence from Micro-Level Data