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Searching Content indexed under Tax Treaties by Andrew Terry ordered by Published Date Descending.
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Proposed Changes To The Taxation Of Interest In The UK Including Abolition Of Eurobond Exemption
On 27 March 2012 the UK Government published a consultation paper in which various changes to the UK taxation of interest payments were proposed.
UK
15 May 2012
2
UKs New Administrative Regime for Treaty Relief in Respect of Corporate Interest Payments
Many cross-border payments of UK-source interest are subject to deduction of tax at source under UK domestic tax laws, although many non-UK recipients of such interest are eligible to have their potential UK tax liabilities removed or reduced under the terms of one of the UK's numerous double tax treaties.
UK
26 Sep 2010
3
UKs New Administrative Regime for Treaty Relief in Respect of Corporate Interest Payments
Many cross-border payments of UK-source interest are subject to deduction of tax at source under UK domestic tax laws, although many non-UK recipients of such interest are eligible to have their potential UK tax liabilities removed or reduced under the terms of one of the UK's numerous double tax treaties.
UK
22 Sep 2010
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