ABSTRACT

The purpose of this chapter is to examine the main issues presented in the OECD Report, In order to investigate whether the arguments presented therein can be deemed to be strong enough to convince countries to reject negotiating tax treaties with tax sparing clauses.

SCHOUERI, L. E.. Tax sparing: a reconsideration of the reconsideration. In: Yariv Brauner; Miranda Stewart. (Org.). Tax, Law and Development. 1ed.Cheltenham: Edward Elgar, 2013, v. , p. 106-124.

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