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Tax Treaty Arbitration

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- Title:
Tax Treaty Arbitration
- Series:
Volume 15 in the WU Series
- Editor(s):
- Michael Lang et al.
- Date of publication:
April 2020
- ISBN:
978-90-8722-614-5
- Type of publication:
Print book
- Number of pages:
885
- Terms:
Shipping fees apply. View shipping information
- Price:
- EUR 130 / USD 155 (VAT excl.)
- tab_1
- Title:
Tax Treaty Arbitration
- Series:
Volume 15 in the WU Series
- Editor(s):
- Michael Lang et al.
- Date of publication:
April 2020
- ISBN:
978-90-8722-615-2
- Type of publication:
eBook in ePub format
- Number of pages:
885
- Other:
Please note: Adobe Digital Editions is required
- Price:
- EUR 104 / USD 124 (VAT excl.)
- tab_2
- Title:
Tax Treaty Arbitration
- Series:
Volume 15 in the WU Series
- Editor(s):
- Michael Lang et al.
- Date of publication:
April 2020
- ISBN:
978-90-8722-616-9
- Type of publication:
eBook in PDF format
- Number of pages:
885
- Other:
This format has a fixed layout and is identical to the original print book. It is not possible to adjust font size, however, you can zoom in on a page or graphic.
Please note: Adobe Acrobat Reader is required
- Price:
- EUR 104 / USD 124 (VAT excl.)
- tab_3
- Title:
Tax Treaty Arbitration
- Series:
Volume 15 in the WU Series
- Editor(s):
- Michael Lang et al.
- Date of publication:
April 2020
- ISBN:
978-90-8722-614-5
- Type of publication:
Online Book
- Number of pages:
885
- Terms:
Up to 5 users. View purchase information
- Price:
- EUR 130 / USD 155 (VAT excl.)
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To obtain bulk or student discounts, contact Customer Support.
- Tax Treaty Arbitration
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Why this book?Tax treaty arbitration is a topic that has become more important than ever before. In a post-BEPS world, where tax treaty disputes are expected to increase significantly as a result of the different measures taken to address treaty abuse, a well-functioning dispute resolution mechanism is key to solving tax treaty disputes. Both the OECD and the European Union took initiatives to improve the mechanisms for dispute resolution in tax matters. The OECD amended article 25 of the OECD Model on the mutual agreement procedure and the European Union adopted Council Directive 2017/1852 on tax dispute resolution mechanisms in the European Union. The aim of this book is to provide tax authorities, policymakers, courts and practitioners an overview of the effectiveness of tax treaty arbitration and the approach towards the recent changes in 36 countries.This book comprises 36 national reports from countries across the globe and is the outcome of a conference on tax treaty arbitration that took place from 5 to 7 July 2018 in Rust (Austria). More than 100 experts, including the authors of the national reports, were brought together to discuss recent developments in the field of tax treaty arbitration. A general report highlights the most important findings of the conference.DownloadsThis book is part of the WU Institute for Austrian and International Tax Law – Tax Law and Policy Series.
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