Taxpayers establishing their economic and personal interests in more than one country run the risk of becoming a tax resident in more than one tax jurisdiction. The problem of possible double residency shall be solved by Article 4(2) and (3) (the so-called Tie-Breaker Rule) of the OECD Model Tax Convention. Both articles are falling back on national legal definitions. which raises the... https://www.jalyttlers.shop/product-category/glasses/
Critical Assessment of the Tie-breaker Rule Using the Example of the DTT Germany-Poland
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