Inhoudsopgave:
\u003cp\u003e\u003cstrong\u003eComparative Income Taxation\u003c/strong\u003e\u003c/p\u003e \u003cp\u003eA Structural Analysis\u003c/p\u003e \u003cp\u003eFourth Edition\u003c/p\u003e \u003cp\u003e\u003cem\u003eHugh J. Ault, Brian J. Arnold \u0026amp; Graeme S. Cooper\u003c/em\u003e\u003c/p\u003e \u003cp\u003eIn complex national income tax systems, structural and design variations from one country to another present major obstacles to the kind of comparative understanding that economic globalization requires. Hence the great significance of this outstanding book, highly acclaimed through three previous editions and now thoroughly updated to encompass the latest changes and trends. In it, leading authorities from eleven of the world\u0026rsquo;s most important national taxation systems each contribute their particular expertise to a study of specific crucial problems of tax design. In addition to the nine countries covered in previous editions\u0026mdash;Australia, Canada, France, Germany, Japan, the Netherlands, Sweden, the United Kingdom and the United States\u0026mdash;China and India have now been added to provide the perspective of developing countries.\u003c/p\u003e \u003cp\u003eIndividually authored country descriptions outline the climate and institutional framework in which each of the eleven national taxation systems\u0026rsquo; substantive rules operate. All the country descriptions are analyzed in accordance with a common format to facilitate comparisons of the ways in which the countries\u0026rsquo; tax systems are similar and in which they differ. They form the background to an expertly informed comparative analysis focusing on three major areas: basic income taxation, taxation of business organizations and international taxation. Most of the rules especially important for international business and investment are dealt with here, including (among many others) rules on the following:\u003c/p\u003e \u003cul\u003e \u003cli\u003eclassification of business entities;\u003c/li\u003e \u003cli\u003etaxation of corporations and their shareholders;\u003c/li\u003e \u003cli\u003ecorporate organization and restructuring;\u003c/li\u003e \u003cli\u003etaxation of partnerships;\u003c/li\u003e \u003cli\u003eresidence and source taxation;\u003c/li\u003e \u003cli\u003econtrolled foreign company rules;\u003c/li\u003e \u003cli\u003erestrictions on the deduction of interest;\u003c/li\u003e \u003cli\u003ecourts dealing with tax matters; and\u003c/li\u003e \u003cli\u003eeffect of tax treaties.\u003c/li\u003e \u003c/ul\u003e \u003cp\u003eSeveral new topics\u0026mdash;including the classification of employees and independent contractors, the taxation of pensions, patent box regimes, the taxation of indirect transfers and the tax challenges of the digital economy\u0026mdash;have been added. Especially timely are discussions of changes stemming from the G20/OECD Base Erosion and Profit Shifting project. The introduction has also been expanded to include a new section on European Union (EU) law as it affects the tax laws of EU Member States.\u003c/p\u003e \u003cp\u003eThis new edition of a classic source of information and analysis for students, professors, researchers, tax practitioners and tax policy officials on the different ways that countries design their income tax systems will be widely welcomed by the international tax community.\u003c/p\u003e \u003cp\u003e\u0026nbsp;\u003c/p\u003e |