Taxation of cross-border income, harmonization, and tax neutrality under European Community law : an institutional approach

Bibliographic Information

Taxation of cross-border income, harmonization, and tax neutrality under European Community law : an institutional approach

by Klaus Vogel ; with comments by Johan Brands and Kees van Raad

(EFS / Foundation for European Fiscal Studies, Erasmus University Rotterdam, 2)

Kluwer Law and Taxation Pub., c1994

Available at  / 8 libraries

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Note

"Foundation for European Fiscal Studies, Erasmus University Rotterdam"--T.p

Includes bibliographical references

Description and Table of Contents

Description

Neutrality was the guiding principle for tax co-ordination in the European Community under the Treaty of Rome. Taxes, it was held, should not be allowed to hinder the free movement of goods and services, persons and capital, nor interfere with the establishment of a regime which would ensure that competitive conditions are not distorted. The Treaty of Masstricht added subsidiarity to this, basically meaning that the power to tax, among other powers, rests with the member states. Obviously, these criteria for a "good" tax system interact. Moreover, doing justice to both criteria may require considerable tax reform. The community-wide introduction of VAT stands out as a reform which met the neutrality and subsidiarity requirements. The destination basis of the tax and the attendant border tax adjustments ensure that intra-Community trade is unaffected and that revenues accrue to the member state of consumption. No such easy solution is available for the corporation tax. Neutrality and subsidiarity are inextricably intertwined since capital is highly mobile and the entitlement to tax corporations and their shareholders is based on both the source principle and the domicile principle. This volume presents Klaus Vogel's view on the choice between the source principle and the domicile principle. Neutrality considerations, Vogel believes, dictate the adoption of the source principle. His economic arguments are contested by Johan Brands, and Kees van Raad takes issue with Vogel's legal arguments.

Table of Contents

  • Taxation of cross-border income, harmonization and tax neutrality under European Community law, Klaus Vogel
  • comment - trade-off between subsidiarity and neutrality, Johan Brands
  • comment - the meaning of non-discrimination, Kees van Raad.

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Related Books: 1-1 of 1

  • EFS

    Foundation for European Fiscal Studies, Erasmus University Rotterdam

    Kluwer Law and Taxation Publishers

Details

  • NCID
    BA23742843
  • ISBN
    • 9065448039
  • Country Code
    ne
  • Title Language Code
    eng
  • Text Language Code
    eng
  • Place of Publication
    Deventer, The Netherlands
  • Pages/Volumes
    50 p.
  • Size
    25 cm
  • Parent Bibliography ID
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