Sökning: "Digital taxation"
Visar resultat 1 - 5 av 38 uppsatser innehållade orden Digital taxation.
1. Problems caused by unilateral measures while taxing the digital economy: Does the value creation approach suggested by OECD solve the problem?
Magister-uppsats, Lunds universitet/Institutionen för handelsrättSammanfattning : This thesis examines the challenges arising from unilateral measures taken by both developing and developed countries to protect their taxing rights in the digital economy, leading to issues of double taxation. It focuses on India's equalisation levy and the UK's diverted profits tax (DPT) as examples of unilateral measures. LÄS MER
2. Unveiling the EU VAT Treatment of Non-Fungible Tokens (NFTs): An Extensive Analysis of the VAT Consequences for NFT Trading
Magister-uppsats, Lunds universitet/Institutionen för handelsrättSammanfattning : Non-fungible tokens (NFTs) have gained significant attention in recent years as a rapidly growing form of crypto assets with unique characteristics. However, existing tax regulations have struggled to keep up with these developments. LÄS MER
3. Hur ser det ut skatterättsligt i avtalen mellan Tiptapp AB, beställaren och utföraren : Med utgångspunkt i prop. 2022/23:6
Kandidat-uppsats, Högskolan i Gävle/JuridikSammanfattning : Following Sweden's membership of the EU, EU law has taken precedence over national law. DAC 7 is an EU directive that has been incorporated into Swedish law. A directive has a kind of a frame character, and it sets an objective to be achieved. LÄS MER
4. Where is a digital company taxed?
Magister-uppsats, Lunds universitet/Institutionen för handelsrättSammanfattning : The identification of a permanent establishment is the principle used by the Member States of the European Union to determine whether a company is subject to the tax jurisdiction of a State. In the digital context, the notion of permanent establishment is often questioned by States, as companies can provide services remotely without having any physical presence in the territory of a State. LÄS MER
5. How Multipolarity and Globalization Have Changed the Nature of Tax Multilateralism : A Comparison of the OECD Model Tax Convention Negotiation with the Negotiation of Pillar One and Two
Magister-uppsats, Uppsala universitet/Juridiska institutionenSammanfattning : Can a multilateral negotiating process—that is, cooperation between many states in a single forum—successfully reform the network of bilateral tax treaties that currently makes up the bulk of international tax law? The BEPS Project aims to be the first major push for a multilateral tax process since the creation of the OECD’s Model Tax Convention in the 1960s. Through BEPS, the OECD and 130-plus countries are in final negotiations to implement Pillar One and Two, which will: (1) create a new taxing right for “market jurisdiction” countries on the profit of international companies that do business there without a physical presence; and (2) implement a top-up tax levied against companies that offshore profits from intangible assets in low-tax jurisdictions. LÄS MER