Abstract
Worldwide income taxation in the country of residence is a legal dogma of international taxation. We question this dogma from the perspective of relations between developed and developing countries from legal and economic perspectives, and make a modern and fair proposal for tax treaties. We show under which conditions a developing and a developed country will voluntarily sign a tax treaty where the developing country is more inclined to share the information with the developed country and whether they should share revenues. Moreover, we demonstrate how the conclusion of a tax treaty can assist in the implementation of a tax audit system in the developing country.
Lingua originale | Inglese |
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pagine (da-a) | 383-404 |
Numero di pagine | 22 |
Rivista | European Journal of Law and Economics |
Volume | 42 |
Numero di pubblicazione | 3 |
DOI | |
Stato di pubblicazione | Pubblicato - 1 dic 2016 |