JJUA55224U Cancelled in spring semester F22 International Taxation
The main pillar of the course is the OECD and the BEPS (Base
Erosion and Profit Shifting) project.
The OECD Model Treaty for the Avoidance of Double Taxation its
commentaries, the expected upcoming unilateralisation of Double Tax
Treaties and examples of some of the many Double Tax Treaties
existing. A more thorough analysis of the interpretation rules in
the Vienna Convention.
The BEPS refers to tax avoidance strategies that exploit gaps and mismatches in tax rules to artificially shift profits to low or no-tax locations. The course will deal with some of the implications of the digital economy on tax strategies. Over 100 countries and jurisdictions are collaborating to implement the BEPS measures and tackle BEPS, see more here:http://www.oecd.org/tax/beps/beps-about.htm
The course will also deal with the implications of domestic law on interpretation, application and choices between applying Treaty relief or Domestic tax relief and the EU-initiatives on tax-avoidance, e.g. EU directives 2016/1164 on rules against tax avoidance.
The course builds on the BA-education courses; International Public Law, EU-law and Administrative Law.
A thorough and working knowledge concerning the relevant sources of law and applicable decisions relating to international taxation.
The ability to apply such sources of law to specific issues relating to international taxation.
The ability to identify, analyze and apply the concepts of full and limited tax liability and issues related thereto – domestic as well as international, including problems concerning requalification of entities and issues concerning beneficial ownership and anti-abuse provisions.
The ability to identify, analyze and discuss matters of tax avoidance and tax implications of the digital economy.
Working knowledge of international principles and rules regarding CFC taxation, debt to equity thin capitalization, limitation of interest provisions and joint taxation.
The ability to critically analyze, apply and deduce from the OECD Model Convention Treaty and the commentary thereto.
Basic knowledge of and ability to relate to Transfer Pricing and the OECD Guidelines.
Michael Lang: Introduction to the Law of Double Taxation Conventions 3rd edition.
OECD Model Tax Convention on Income and Capital, condensed version (as it read on 21 November 2017) |
Council Directive 2016/1164 |
EU Court of Justice Cases C-115/16 and C-115/16 total pages 45 and 30 pages |
SIGNATORIES AND PARTIES TO THE MULTILATERAL CONVENTION TO IMPLEMENT TAX TREATY RELATED MEASURES TO PREVENT BASE EROSION AND PROFIT SHIFTING |
All reading material except the OECD model and Lange is available as download. The OECD Model is variable |
on line as read only. |
- Category
- Hours
- Preparation
- 178,25
- Seminar
- 28
- Total
- 206,25
Students present a solution on a case or problem, or topic, which the teacher and the other students gives feedback and a formative evaluation.
- Students enrolled at Faculty of Law: Self Service at KUnet
- Students enrolled at other UCPH faculties or Danish universities, who holds a pre-approval from their Study Board: Credit student application form
- All other students or professionals: Single subject application form (tuition fee apply)
- Credit
- 7,5 ECTS
- Type of assessment
- Oral examination, 20 minutesOral exam without preparation, 20 minutes
- Marking scale
- 7-point grading scale
- Censorship form
- External censorship
- Exam period
week 43, 2021
- Re-exam
week 4, 2022 - Monday, Tuesday, Wednesday
Course information
- Language
- English
- Course code
- JJUA55224U
- Credit
- 7,5 ECTS
- Level
- Full Degree Master
- Duration
- 1 semester
- Placement
- Autumn
- Schedule
- Please see schedule for teaching time
- Study board
- Law
Contracting department
- Law
Contracting faculty
- Faculty of Law
Course Coordinators
- Rasmus Kristian Feldthusen (26-756476707876316e756c76776c64713169686f67776b78766871436d7875316e7831676e)