000 02871nam a22002057a 4500
999 _c112196
_d112196
003 OSt
005 20200904131318.0
008 181128b2018 ||||| |||| 00| 0 eng
020 _a9789387963979
040 _cnls
082 _a343.0526 MOD
100 _aModi NIlesh
245 _aLaw and practice of tax treaties
_cAn Indian perspective
250 _a2nd
260 _aCanada
_bO E C D
_c2018
300 _aHB
505 _aDescription : The second and updated edition explains the Model Conventions with reference to, inter alia, the Indian decisions, CBDT Circulars, overseas jurisprudence, Australian Taxation Office (ATO) rulings, and Technical Explanations to the Indian treaties with US and Australia. The book provides a reference to the Model Commentaries as well as to the OECD Reports and analyses whether the UN/OECD view is in consonance with or departs from the Indian/overseas jurisprudence. The Second Edition also discusses the newly inserted Article 27 in the 2011 Revised UN Model Convention dealing with “Assistance in the Collection of Taxes.” The second edition consists of 31 chapters. The first chapter is on “Introduction to Tax Treaties” which, inter alia, discusses the principles for interpretation of treaties. The rest of the 30 chapters analyse each of the 30 Articles in the UN Model and the corresponding Articles in the OECD Model. These Model Conventions have been analysed based, inter alia, on the: (i) Indian jurisprudence; (ii) CBDT Circulars/CBDT Instructions; (iii) Reports of Committees set up by the Indian Government; (iv) CAG Report; (v) overseas jurisprudence; (vi) ATO rulings; (vii) Technical Explanation to the India-US Tax Treaty; and (viii) Technical Explanation to the India-Australia Tax Treaty. A reference has also been provided to the relevant portions of the Model Commentaries to the UN Model/OECD Model/US Model as well as to the OECD Reports. In addition to the UN and OECD Models, the book analyses certain Indian treaties, which depart from UN and OECD Models, on the basis of the above sources of reference. A new feature of the second edition is its coverage of foreign judgments/ATO rulings which are relevant for the UN/OECD Model and Indian treaties. The book analyses nearly 850 foreign judgments from 40 countries and 100 ATO rulings, including discussing whether they are in consonance or at variance with the views of the Indian judiciary, Indian Revenue and international bodies such as UN and OECD. The book also analyses whether the views of the Indian Tax Administration, as reflected in the CBDT Circulars and India’s observations to the UN/OECD Model and Commentary, are in consonance or at variance with the Indian jurisprudence/international practices.
600 _aDouble Taxation - Law & Legislation
_aTaxation - Law & Legislation
942 _2ddc
_cBK