The tax treatment of transfer of residence by individuals Le traitement fiscal du transfert de résidence des personnes physiques Steuerrechtliche Folgen der Wohnsitzverlegung bei natürlichen Personen Tratamiento fiscal de la transferencia de residencia de personas físicas

Bibliographic Information

The tax treatment of transfer of residence by individuals = Le traitement fiscal du transfert de résidence des personnes physiques = Steuerrechtliche Folgen der Wohnsitzverlegung bei natürlichen Personen = Tratamiento fiscal de la transferencia de residencia de personas físicas

general reporter, Luc de Broe ; discussion leader, Bertil Wiman

(Cahiers de droit fiscal international = Studies on international fiscal law = Schriften zum internationalen Steuerrecht, 87b ; subject 2)

Kluwer Law International, c2002

  • with CD-ROM

Available at  / 5 libraries

Search this Book/Journal

Note

"56th Congress of the International Fiscal Association, Oslo, 2002"--Half t.p.

Text in English, French, German and Spanish

Description and Table of Contents

Volume

ISBN 9789041118301

Description

One way to approach this topic is to view the provisions from a technical perspective. In the country of emigration, three segments of tax effects can broadly speaking be determined relating to a change of residence. First, recapture of previously permitted deductions or recapture of deferrals on, for example, previously realized capital gains (as in an exchange of shares), triggered by the emigration. Secondly, general or limited exit taxes on unrealized gains or income at the time of the change of residence. And finally, extended unlimited or limited tax liability, where the emigration country domestically retains a right to tax the individual on all or certain items after emigration. In the country of immigration, the main issue is whether a step-up of basis is given. If not, double taxation may occur. Double taxation may also occur even if step-up is permitted, in case the emigration country applies extended tax liability covering also post-emigration appreciation. Double taxation can be avoided by foreign tax credit by either the emigration country or the immigration country, by virtue of either domestic provisions or treaty provisions. A discussion on how to solve double taxation (or double non-taxation) partly based on the OECD model tax treaty, will be provided. Finally, EC law aspects of exit taxes is discussed.
Volume

with CD-ROM ISBN 9789041118318

Description

One way to approach the topic is to view the provisions from a technical perspective. In the country of emigration, three segments of tax effects can broadly speaking be determined relating to a change of residence. First, recapture of previously permitted deductions or recapture of deferrals on, for example, previously realized capital gains (as in an exchange of shares), triggered by the emigration. Secondly, general or limited exit taxes on unrealized gains or income at the time of the change of residence. And finally, extended unlimited or limited tax liability, where the emigration country domestically retains a right to tax the individual on all or certain items after emigration. In the country of immigration, the main issue is whether a step-up of basis is given. If not, double taxation may occur. Double taxation may also occur even if step-up is permitted, in case the emigration country applies extended tax liability covering also post-emigration appreciation. Double taxation can be avoided by foreign tax credit by either the emigration country or the immigration country, by virtue of either domestic provisions or treaty provisions. A discussion on how to solve double taxation (or double non-taxation) partly based on the OECD model tax treaty, will be provided. Finally, EC law aspects of exit taxes is discussed.

by "Nielsen BookData"

Related Books: 1-1 of 1

Details

  • NCID
    BA60769496
  • ISBN
    • 9041118306
    • 9041118314
  • Country Code
    ne
  • Title Language Code
    eng
  • Text Language Code
    engfregerspa
  • Place of Publication
    The Hague
  • Pages/Volumes
    643 p.
  • Size
    23 cm
  • Attached Material
    1 computer disk
  • Parent Bibliography ID
Page Top