Schwarz on Tax Treaties
Schwarz on Tax Treaties is the definitive analysis of tax treaties from United Kingdom and Irish perspectives and provides in-depth expert analysis of the interpretation and interaction of those treaty networks with the European Union and international law.

The sixth edition significantly develops the earlier work with enhanced commentary and is updated to include the latest UK, Irish domestic and treaty developments, international and EU law, including:

  • Covered Tax Agreements modified by the BEPS Multilateral Instrument;
  • judicial decisions of Ireland, the UK and foreign courts on UK and Irish treaties;
  • Digital Services Tax;
  • treaty binding compulsory arbitration;
  • Brexit and the EU-UK Trade and Cooperation Agreement;
  • taxpayer rights in exchange of information;
  • taxpayer rights in EU cross-border collection of taxes;
  • attribution of profits to permanent establishments; and
  • EU DAC 6 Disclosure of cross-border planning.

Case law developments including:

  • UK Supreme Court in Fowler v HMRC;
  • Indian Supreme Court in Engineering Analysis Centre of Excellence Private Limited and Others v CIT;
  • Australian Full Federal Court in Addy v CoT;
  • French Supreme Administrative Court in Valueclick;
  • English Court of Appeal in Irish Bank Resolution Corporation v HMRC; JJ Management and others v HMRC;
  • United States Tax Court in Adams Challenge v CIR;
  • UK Tax Tribunals in Royal Bank of Canada v HMRC; Lloyd-Webber v HMRC; Esso Exploration and Production v HMRC; Glencore v HMRC; McCabe v HMRC; Padfield v HMRC; Davies v HMRC; Uddin v HMRC;
  • English High Court in Minera Las Bambas v Glencore; Kotton v First Tier Tribunal; and
  • CJEU in N Luxembourg I, and others (the ‘Danish beneficial ownership cases’); État belge v Pantochim; College Pension Plan of British Columbia v Finanzamt München; HB v Istituto Nazionale della Previdenza Sociale.

About the Author

Jonathan Schwarz BA, LLB (Witwatersrand), LLM (UC Berkeley), FTII is an English Barrister at Temple Tax Chambers in London and is also a South African Advocate and a Canadian and Irish Barrister. His practice focuses on international tax disputes as counsel and as an expert and advises on solving cross-border tax problems. He is a Visiting Professor at the Faculty of Law, King’s College London University. He has been listed as a leading tax Barrister in both the Legal 500, for international corporate tax, and Chambers’ Guide to the Legal Profession, for international transactions and particular expertise in transfer pricing. He has been lauded in Who’s Who Legal, UK Bar for his ‘brilliant’ handling of cross-border tax problems. In Chambers Guide, he is identified as ‘the double tax guru’ with ‘extraordinary depth of knowledge and experience when it comes to tax treaty issues and is a creative thinker and a clear and meticulous writer’.

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Schwarz on Tax Treaties
Schwarz on Tax Treaties is the definitive analysis of tax treaties from United Kingdom and Irish perspectives and provides in-depth expert analysis of the interpretation and interaction of those treaty networks with the European Union and international law.

The sixth edition significantly develops the earlier work with enhanced commentary and is updated to include the latest UK, Irish domestic and treaty developments, international and EU law, including:

  • Covered Tax Agreements modified by the BEPS Multilateral Instrument;
  • judicial decisions of Ireland, the UK and foreign courts on UK and Irish treaties;
  • Digital Services Tax;
  • treaty binding compulsory arbitration;
  • Brexit and the EU-UK Trade and Cooperation Agreement;
  • taxpayer rights in exchange of information;
  • taxpayer rights in EU cross-border collection of taxes;
  • attribution of profits to permanent establishments; and
  • EU DAC 6 Disclosure of cross-border planning.

Case law developments including:

  • UK Supreme Court in Fowler v HMRC;
  • Indian Supreme Court in Engineering Analysis Centre of Excellence Private Limited and Others v CIT;
  • Australian Full Federal Court in Addy v CoT;
  • French Supreme Administrative Court in Valueclick;
  • English Court of Appeal in Irish Bank Resolution Corporation v HMRC; JJ Management and others v HMRC;
  • United States Tax Court in Adams Challenge v CIR;
  • UK Tax Tribunals in Royal Bank of Canada v HMRC; Lloyd-Webber v HMRC; Esso Exploration and Production v HMRC; Glencore v HMRC; McCabe v HMRC; Padfield v HMRC; Davies v HMRC; Uddin v HMRC;
  • English High Court in Minera Las Bambas v Glencore; Kotton v First Tier Tribunal; and
  • CJEU in N Luxembourg I, and others (the ‘Danish beneficial ownership cases’); État belge v Pantochim; College Pension Plan of British Columbia v Finanzamt München; HB v Istituto Nazionale della Previdenza Sociale.

About the Author

Jonathan Schwarz BA, LLB (Witwatersrand), LLM (UC Berkeley), FTII is an English Barrister at Temple Tax Chambers in London and is also a South African Advocate and a Canadian and Irish Barrister. His practice focuses on international tax disputes as counsel and as an expert and advises on solving cross-border tax problems. He is a Visiting Professor at the Faculty of Law, King’s College London University. He has been listed as a leading tax Barrister in both the Legal 500, for international corporate tax, and Chambers’ Guide to the Legal Profession, for international transactions and particular expertise in transfer pricing. He has been lauded in Who’s Who Legal, UK Bar for his ‘brilliant’ handling of cross-border tax problems. In Chambers Guide, he is identified as ‘the double tax guru’ with ‘extraordinary depth of knowledge and experience when it comes to tax treaty issues and is a creative thinker and a clear and meticulous writer’.

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Schwarz on Tax Treaties

Schwarz on Tax Treaties

by Jonathan Schwarz
Schwarz on Tax Treaties

Schwarz on Tax Treaties

by Jonathan Schwarz

Hardcover(6th ed.)

$240.00 
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Overview

Schwarz on Tax Treaties is the definitive analysis of tax treaties from United Kingdom and Irish perspectives and provides in-depth expert analysis of the interpretation and interaction of those treaty networks with the European Union and international law.

The sixth edition significantly develops the earlier work with enhanced commentary and is updated to include the latest UK, Irish domestic and treaty developments, international and EU law, including:

  • Covered Tax Agreements modified by the BEPS Multilateral Instrument;
  • judicial decisions of Ireland, the UK and foreign courts on UK and Irish treaties;
  • Digital Services Tax;
  • treaty binding compulsory arbitration;
  • Brexit and the EU-UK Trade and Cooperation Agreement;
  • taxpayer rights in exchange of information;
  • taxpayer rights in EU cross-border collection of taxes;
  • attribution of profits to permanent establishments; and
  • EU DAC 6 Disclosure of cross-border planning.

Case law developments including:

  • UK Supreme Court in Fowler v HMRC;
  • Indian Supreme Court in Engineering Analysis Centre of Excellence Private Limited and Others v CIT;
  • Australian Full Federal Court in Addy v CoT;
  • French Supreme Administrative Court in Valueclick;
  • English Court of Appeal in Irish Bank Resolution Corporation v HMRC; JJ Management and others v HMRC;
  • United States Tax Court in Adams Challenge v CIR;
  • UK Tax Tribunals in Royal Bank of Canada v HMRC; Lloyd-Webber v HMRC; Esso Exploration and Production v HMRC; Glencore v HMRC; McCabe v HMRC; Padfield v HMRC; Davies v HMRC; Uddin v HMRC;
  • English High Court in Minera Las Bambas v Glencore; Kotton v First Tier Tribunal; and
  • CJEU in N Luxembourg I, and others (the ‘Danish beneficial ownership cases’); État belge v Pantochim; College Pension Plan of British Columbia v Finanzamt München; HB v Istituto Nazionale della Previdenza Sociale.

About the Author

Jonathan Schwarz BA, LLB (Witwatersrand), LLM (UC Berkeley), FTII is an English Barrister at Temple Tax Chambers in London and is also a South African Advocate and a Canadian and Irish Barrister. His practice focuses on international tax disputes as counsel and as an expert and advises on solving cross-border tax problems. He is a Visiting Professor at the Faculty of Law, King’s College London University. He has been listed as a leading tax Barrister in both the Legal 500, for international corporate tax, and Chambers’ Guide to the Legal Profession, for international transactions and particular expertise in transfer pricing. He has been lauded in Who’s Who Legal, UK Bar for his ‘brilliant’ handling of cross-border tax problems. In Chambers Guide, he is identified as ‘the double tax guru’ with ‘extraordinary depth of knowledge and experience when it comes to tax treaty issues and is a creative thinker and a clear and meticulous writer’.


Product Details

ISBN-13: 9789403526300
Publisher: Wolters Kluwer
Publication date: 09/28/2021
Edition description: 6th ed.
Pages: 816
Product dimensions: 6.14(w) x 9.21(h) x 1.69(d)

Table of Contents

• The Legal Framework: United Kingdom Law • The Legal Framework: European Community Law • Interpretation of Treaties • Scope of Tax Treaties: Taxes covered and Territorial • Access to Treaty Benefits: Personality, Fiscal Domicile and Nationality • Permanent Establishment • Distributive Provisions of Income Tax Treaties • Business Profits • Income from Property • Employment and Pensions • Capital Gains • Other Income and Miscellaneous Cases • Treaties and European Tax Directives • Elimination of Double Taxation: Credit for Foreign Tax • Non- Discrimination • Treaty shopping and Other Avoidance • Practical Application • Disputes and Mutual Agreement Procedure • European Arbitration Convention • Mutual Assistance: Exchange of Information and Collection of Taxes

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