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INTERPRETATION OF TAX TREATIES

Year 2002, Volume: 10 Issue: 1, 35 - 64, 28.06.2002
https://doi.org/10.29228/mjes.245

Abstract

Nations benefit economically when their companies work abroad and develop their strength in international markets. Economic power also brings international political power and prestige. When dealing with international business, taxation is one o f the most important problems. Double taxation, which is to tax the same profit by two or more countries, is a serious obstacle that confronts international enterprises. Unless double taxation is avoided it will be difficult for enterprises to conduct international business profitably. Without the existence of a general multilateral tax treaty, in practice countries use bilateral tax treaties to prevent international double taxation. An important source of difficulty lies in the interpretation of treaties. When the terms in international double taxation agreements are not clear, uncertainities are created. This affects countries' tax revenues, because , two different interpretations are possible. The conflict between countries regarding the lack or existence of an obligation can translate into extremely large amounts ofmoney. In practice some guidelines are used, such as the Vienna Convention on the Law of Treaties. Also, some schools of though offer liberal, strict or teleological interpretation to find the real meaning of the terms. In general, courts have tended to use a liberal interpretation, in order to find the countries' intention concerning the relevant articles or terms. However, in some cases the strict interpretation has been used which is based on the meaning o f the words used in the main text. 

References

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INTERPRETATION OF TAX TREATIES

Year 2002, Volume: 10 Issue: 1, 35 - 64, 28.06.2002
https://doi.org/10.29228/mjes.245

Abstract

Nations benefit economically when their companies work abroad and develop their strength in international markets. Economic power also brings international political power and prestige. When dealing with international business, taxation is one o f the most important problems. Double taxation, which is to tax the same profit by two or more countries, is a serious obstacle that confronts international enterprises. Unless double taxation is avoided it will be difficult for enterprises to conduct international business profitably. Without the existence of a general multilateral tax treaty, in practice countries use bilateral tax treaties to prevent international double taxation. An important source of difficulty lies in the interpretation of treaties. When the terms in international double taxation agreements are not clear, uncertainities are created. This affects countries' tax revenues, because , two different interpretations are possible. The conflict between countries regarding the lack or existence of an obligation can translate into extremely large amounts ofmoney. In practice some guidelines are used, such as the Vienna Convention on the Law of Treaties. Also, some schools of though offer liberal, strict or teleological interpretation to find the real meaning of the terms. In general, courts have tended to use a liberal interpretation, in order to find the countries' intention concerning the relevant articles or terms. However, in some cases the strict interpretation has been used which is based on the meaning o f the words used in the main text. 

References

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There are 1 citations in total.

Details

Primary Language English
Journal Section Makaleler
Authors

Hakan Uzeltürk This is me

Publication Date June 28, 2002
Published in Issue Year 2002 Volume: 10 Issue: 1

Cite

APA Uzeltürk, H. (2002). INTERPRETATION OF TAX TREATIES. Marmara Üniversitesi Avrupa Araştırmaları Enstitüsü Avrupa Araştırmaları Dergisi, 10(1), 35-64. https://doi.org/10.29228/mjes.245
AMA Uzeltürk H. INTERPRETATION OF TAX TREATIES. MJES. June 2002;10(1):35-64. doi:10.29228/mjes.245
Chicago Uzeltürk, Hakan. “INTERPRETATION OF TAX TREATIES”. Marmara Üniversitesi Avrupa Araştırmaları Enstitüsü Avrupa Araştırmaları Dergisi 10, no. 1 (June 2002): 35-64. https://doi.org/10.29228/mjes.245.
EndNote Uzeltürk H (June 1, 2002) INTERPRETATION OF TAX TREATIES. Marmara Üniversitesi Avrupa Araştırmaları Enstitüsü Avrupa Araştırmaları Dergisi 10 1 35–64.
IEEE H. Uzeltürk, “INTERPRETATION OF TAX TREATIES”, MJES, vol. 10, no. 1, pp. 35–64, 2002, doi: 10.29228/mjes.245.
ISNAD Uzeltürk, Hakan. “INTERPRETATION OF TAX TREATIES”. Marmara Üniversitesi Avrupa Araştırmaları Enstitüsü Avrupa Araştırmaları Dergisi 10/1 (June 2002), 35-64. https://doi.org/10.29228/mjes.245.
JAMA Uzeltürk H. INTERPRETATION OF TAX TREATIES. MJES. 2002;10:35–64.
MLA Uzeltürk, Hakan. “INTERPRETATION OF TAX TREATIES”. Marmara Üniversitesi Avrupa Araştırmaları Enstitüsü Avrupa Araştırmaları Dergisi, vol. 10, no. 1, 2002, pp. 35-64, doi:10.29228/mjes.245.
Vancouver Uzeltürk H. INTERPRETATION OF TAX TREATIES. MJES. 2002;10(1):35-64.