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GLOBAL TAX WEEKLYa closer lookISSUE
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GLOBAL TAX WEEKLYa closer lookISSUE
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FEATURED ARTICLESISSUE 30 | JUNE 6,
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taxation treaties concluded by Swit
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FEATURED ARTICLESISSUE 30 | JUNE 6,
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FEATURED ARTICLESISSUE 30 | JUNE 6,
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UK, its offshore dependencies, and
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financing and all forms of financia
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Th e Government pointed out in part
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Talks are now underway. The TIEA wi
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through which they can clamber in o
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fi nally, and most egregiously, the
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office space, or own tangible asset
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extended for 2 years in December 20
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Financial transactions ( e.g. inter
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OECD Section E - Redraft On Safe Ha
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suggests that the following items m
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FEATURED ARTICLESISSUE 30 | JUNE 6,
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State Interest And IntangibleExpens
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States generally define "intangible
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Code Sec. 1563(controlledgroup)Stat
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ConnecticutGeorgiaIllinoisIndianaRe
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Rhode IslandTennesseeVirginiaWest V
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Table 4. Comprehensive Income Tax T
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- Page 51 and 52: Recurring IssuesRestructuring of th
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- Page 57 and 58: on many levels. The panel found tha
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- Page 79 and 80: Key speakers: John Capasso (Alvarez
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- Page 83 and 84: 6/14/2013 - 6/14/2013http://www.con
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- Page 87 and 88: Chair: Jonathan Levy (Partner, Reyn
- Page 89 and 90: IN THE COURTSISSUE 30 | JUNE 6, 201
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