45 results on '"Kramer, Jorg-Dietrich"'
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2. German CFC legislation regarding real estate investment trusts.
3. German taxation of partnership loan interest.
4. Is the nondeductibility of foreign losses compatible with the EC convention?
5. Taxation of nonresident artists and athletes in Germany.
6. Germany.
7. German taxpayers protected by multiple appeal levels.
8. Observations of transfer pricing in international taxation.
9. Tax avoidance, tax evasion, and tax fraud: German national rules.
10. Tax treatment of permanent establishments: the new German administrative principles.
11. Tax treatment of resident holding companies in Germany.
12. Taxation of interest paid by U.S. atypical silent partnership to to German silent partner.
13. Germany: place of activity and taxation of executive directors' salaries.
14. European Court of Justice rules on taxation of nonresident German taxpayers.
15. An analysis of the deductibility of expenses related to dividends from substantial shareholdings in foreign corporations.
16. German Federal Finance Ministry provides guidance on exchange of information and mutual agreement procedures under treaties.
17. An analysis of the restrictions on loss compensation under section 2a of the German Income Tax Code.
18. Germany's treatment of asset transfers from a German branch to a foreign headquarters examined.
19. BFH deals blow to German tax administration's efforts to treat debt as equity.
20. Germany's exemption provision and the subject-to-tax clause.
21. German Federal Finance Academy seminar explores international taxation of branches.
22. German Federal Finance Academy seminar explore international taxation of branches.
23. German tax provisions at odds with EC Treaty.
24. German advance pricing agreements.
25. German CFC legislation's tax haven trap door.
26. German court interprets withholding tax on dividends in Germany-Russia treaty.
27. German minimum taxation of nonresident taxpayers and the EC treaty.
28. France, Germany amend tax treaty provision.
29. Taxation of interest income of German branch of U.S. banking corporations.
30. The introduction of Western tax law into Eastern European countries is sometimes a dubious gift; Bulgaria's VAT.
31. German court reverses decision on taxation of interest income of German branch of U.S. bank.
32. European Court of Justice rules on taxation of nonresident German taxpayers.
33. Germany implements transitional value-added tax regime.
34. German court wrongly focuses on qualification of foreign corporation under Germany-Greece treaty.
35. German Parliament likely to extend arm's-length rule to 'nonbusiness relations' with foreign related parties.
36. Austrian court rules on exemption method for foreign losses: a German perspective.
37. Losses from foreign permanent establishments under Germany's tax treaties.
38. Germany's reaction to the ECJ's Shell case.
39. German treatment of dividend income from a German subsidiary.
40. Finding the facts: Germany's search for information outside its borders.
41. German tax exemption of wages earned in the U.S.
42. German tribunal rules expenses related to foreign dividends are deductible.
43. German court decision on exchange rate loss from loan to French partnership leaves questions unanswered.
44. Germany
45. Income from Czech partnership tax exempt, German court rules.
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