
How Fixed Is a Permanent Establishment?
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Content
- Intro
- Series on International Taxation
- Title
- Copyright
- Dedication
- Table of Contents
- Acknowledgements
- Introduction
- (A) Context
- (B) General Overview
- (C) Definition of Permanent Establishment
- (D) Today's Challenges
- (E) Contents of This Study
- Chapter 1 The Roots of International Tax Law and the Permanent Establishment Concept
- §1.01 Origins of Double Taxation
- §1.02 International Chamber of Commerce/Group of Technical Experts
- §1.03 First Model Tax Conventions
- §1.04 From the League of Nations First Drafts to the Post-war Models
- Chapter 2 Historic Evolution of the Permanent Establishment Concept
- §2.01 The Origin of the Concept of Permanent Establishment under Domestic Law
- [A] General
- [B] Luxembourg
- §2.02 Use of the Permanent Establishment Concept in EU Law
- [A] VAT
- [B] EU Directives
- [C] Common Consolidated Corporate Tax Base
- [D] Impact of EU Law
- Chapter 3 Recent Developments of the Concept of Permanent Establishment
- §3.01 2000 E-Commerce Report: The First of Several
- §3.02 Integration of Independent Professionals into the Article on Business Taxation
- §3.03 2002 OECD Permanent Establishment Report
- §3.04 E-commerce
- [A] Introduction
- [B] 2005 E-Commerce Report
- [C] Profit Allocation to a Permanent Establishment in the E-commerce World
- [D] Conclusion on E-commerce
- §3.05 2008: Services Permanent Establishment
- [A] Introduction
- [B] Conditions for a Services PE
- §3.06 Some Initial Thoughts
- Chapter 4 The Geographical Location and the Basic Definition: The Physical PE
- §4.01 General Conditions
- [A] Overlap of Various Permanent Establishment Concepts
- [B] Combination and Weighting of Several Conditions
- §4.02 The Conditions for the Creation of a Physical Permanent Establishment
- [A] A Business Has to Exist
- [B] Existence of a Place of Business
- [C] Exercise of an Activity
- [D] The Place of Business Has to Be at the Disposal of the Enterprise
- [E] The Question Is Also whether a Permanent Establishment Has Actually to be 'Permanent'?
- [F] The Place of Business Has to Be a Fixed One
- [G] No Need for Personnel
- [H] Existence of Multiple Permanent Establishments
- [I] The Positive List of Article 5.2 OECD Model Convention
- Chapter 5 Construction Permanent Establishments
- §5.01 What Is a Construction Activity?
- §5.02 Relationship between Articles 5.1 and 5.3 of the OECD Model Convention
- §5.03 Supervision Activity and Sub-contracting
- §5.04 Link between Various Projects
- §5.05 Duration Test
- Chapter 6 Preparatory or Auxiliary Activities
- Chapter 7 Agency Permanent Establishment
- §7.01 Difference between the Civil Law and the Common Law Concepts of Representation
- §7.02 Authority of the Agent
- [A] What Kind of Authority?
- [B] Habitual Exercise of the Authority
- §7.03 Place of Residence or of Establishment of the Agent
- §7.04 International Partnerships
- §7.05 Salaried Agent/Legal Person
- §7.06 Preparatory Activities
- §7.07 Dependency of the Agent
- §7.08 A Subsidiary as Agent of Its Parent?
- §7.09 Particular Treatment of the Insurance Sector
- Chapter 8 Conclusion on the Territorial Location
- §8.01 The Territorial Link Has Weakened over Time
- §8.02 Legal Scholars
- §8.03 The Various Conditions to Create a Physical Permanent Establishment are Linked
- [A] Link with the Disposal Test
- [1] Satellites
- [2] Consultants
- [3] Cab Drivers and Road Transportation Companies
- [4] Summary on the Link between Disposal and Geographic Location
- [B] Link with Permanence Test
- §8.04 Specific Exceptions
- [A] Transportation
- [B] Artists and Sportsmen
- [C] Real Estate Activities: Rental Income
- [D] Agricultural Activities
- [E] Pipelines
- [F] Overview
- §8.05 Several Activities Are by Nature Mobile
- §8.06 A More Flexible Approach to the Geographic Criterion Would Have the Following Benefits
- [A] Reconciliation of Various Criteria
- [B] Taking Mobile and E-commerce Activities into Account
- [C] Maximising Source-Based Revenue
- [D] Arguments Given by the OECD Itself
- Chapter 9 Conclusion
- Appendix Proposed changes to the Commentaries of Article 5
- Bibliography
- Discussion papers
- Case Law and Rulings
- Index
- Series on International Taxation
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