The taxation of international entertainers and athletes : all the world's a stage
Author(s)
Bibliographic Information
The taxation of international entertainers and athletes : all the world's a stage
(Chartered Institute of Taxation)
Kluwer Law International, 1995
Available at 13 libraries
  Aomori
  Iwate
  Miyagi
  Akita
  Yamagata
  Fukushima
  Ibaraki
  Tochigi
  Gunma
  Saitama
  Chiba
  Tokyo
  Kanagawa
  Niigata
  Toyama
  Ishikawa
  Fukui
  Yamanashi
  Nagano
  Gifu
  Shizuoka
  Aichi
  Mie
  Shiga
  Kyoto
  Osaka
  Hyogo
  Nara
  Wakayama
  Tottori
  Shimane
  Okayama
  Hiroshima
  Yamaguchi
  Tokushima
  Kagawa
  Ehime
  Kochi
  Fukuoka
  Saga
  Nagasaki
  Kumamoto
  Oita
  Miyazaki
  Kagoshima
  Okinawa
  Korea
  China
  Thailand
  United Kingdom
  Germany
  Switzerland
  France
  Belgium
  Netherlands
  Sweden
  Norway
  United States of America
Note
Includes bibliographical references (p. 351-356)
Description and Table of Contents
Description
This volume aims to provide a comprehensive and detailed analysis of the taxation of non-resident entertainers and athletes in seven countries - Australia, Canada, France, Germany, Japan, the United Kingdom and the United States. The book deals with the many sources of income which such individuals can derive, including income from live performances, television appearances, commercials, product endorsements, royalties for record sales or "needle time", and merchandising of concert paraphernalia. The primary focus of the book is income tax, although VAT regimes are also considered. In addition, the book provides in-depth analysis of Article 17 (Artists and Sportsmen) of the OECD Model Tax Treaty, particularly regarding the extensive additions to the Commentary to that Article made in 1992 based on the OECD's 1987 report on the taxation of entertainers and athletes. The book contains a table summarizing the tax treaty provisions applicable to personal services income derived by entertainers and athletes in the seven countries reviewed.
Two examples (one dealing with a touring pop group and the other with a professional tennis player) are used to illustrate, compare and contrast the manner in which income earned by non-resident entertainers and athletes is treated under domestic income tax and VAT regimes (where applicable) in these countries. Finally, conclusions are drawn, at the domestic and international levels, regarding policy and practical considerations in the effective and efficient taxation of such individuals.
Table of Contents
1. Introduction. 2. Australia. 3. Canada. 4. France. 5. Germany. 6. Japan. 7. United Kingdom. 8. United States. 9. Article 17. Table A: Summary of entertainer and athlete tax treaty provisions by country. I. Australia. II. Canada. III. France. IV. Germany. V. Japan. VI. United Kingdom. VII. United States. 10. Examples. 11. Conclusions.
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