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OverviewFull Product DetailsAuthor: Professor Christiana HJI PanayiPublisher: Bloomsbury Publishing PLC Imprint: Hart Publishing Dimensions: Width: 15.60cm , Height: 1.80cm , Length: 23.40cm Weight: 0.526kg ISBN: 9781849466950ISBN 10: 1849466955 Pages: 376 Publication Date: 03 December 2015 Audience: Professional and scholarly , Professional & Vocational Format: Hardback Publisher's Status: Active Availability: Manufactured on demand ![]() We will order this item for you from a manufactured on demand supplier. Table of Contents1. Aggressive Tax Planning, Good Governance in Tax Matters and Corporate Social Responsibility: The New Themes 2. The OECD/G20 Base Erosion and Profit Shifting Project: Actions 1 - 5 3. Tax Treaty Abuse, Permanent Establishments and Transfer Pricing Rules: Actions 6 - 10 4. Procedural Rules, Country-by-Country Reporting, Dispute Resolution, Multilateralism and Developing Countries: Actions 10 - 15 5. International Tax Avoidance and European Union Law 6. The Compatibility of the BEPS Proposals with European Union Law 7. State Aid, Taxation and Aggressive Tax Planning 8. Unanimity, Enhanced Cooperation and the Financial Transaction Tax: Challenging the European Union's Tax Traditions 9. International and European Union Tax Law in the Post-BEPS WorldReviewsAuthor InformationChristiana HJI Panayi is a Senior Lecturer in Tax Law at Queen Mary University of London. Tab Content 6Author Website:Countries AvailableAll regions |