Theory and practice of international tax law
A.A. 2024/2025
Obiettivi formativi
The course provides with the History, Philosophy, Politics and Economics (HPPE) aspects of international taxation, including: 1) a comprehensive overview of the fundamental principles of taxation written by Adam Smith in "The Wealth of Nations" back to 1776; 2) a comprehensive overview of the fundamental principles of international taxation contained in the "Report on Double Taxation" written for the League of Nations by Proff. Bruins, Einaudi, Seligman and Stamp, back to 1923, as well as in the following recommendations of other international Organizations (i.e. the Model Tax Convention and its Commentary, the BEPS project and the CRS of the OECD); 3) a comprehensive overview of the fundamental principles of international tax law embodied in customary law as well as in supranational law (i.e. European tax law). The course also aims to get into practice describing the most common tax regimes of multinational enterprises as well as the International tax avoidance, evasion and fraud techniques in order to demonstrate that countries are no longer free to adopt international tax rules they please but, rather, are obliged to operate in the context of circulating tax models, which change in the same ways international law changes over time. It is still possible to imagine unilateral actions, and sometimes there are indeed, but they more often generate unpredictable counteractions in the matrix of globalization. This is the reason why international and supranational Organizations (i.e. OECD and EU) are becoming conscious to propose coordinated actions that respect the basic principles of international tax law.
Risultati apprendimento attesi
The course aims to support students with the best preparation in order to decide whether to continue the scientific research in the field of international taxation within universities, research centers or international organizations as the Organization for Economic Cooperation and Development (OECD), the United Nations (UN), the World Bank (WB), the World Trade Organization (WTO) and the International Monetary Fund, or supranational organizations like the European Union. Those students who are more interested into the practice of business and/or law, may have the opportunity to continue their career in international taxation assisting corporations and individuals within a law firm or by working within an international tax department of a multinational enterprise
Periodo: Primo semestre
Modalità di valutazione: Esame
Giudizio di valutazione: voto verbalizzato in trentesimi
Corso singolo
Questo insegnamento può essere seguito come corso singolo.
Programma e organizzazione didattica
Edizione unica
Responsabile
Periodo
Primo semestre
Programma
1- 24/9/24 The Dark Side of International Taxation and International Tax Law: A Philosophy, Politics, Economics (PPE) Approach Between Double Taxation and Double Non Taxation
2 - 26/9/24 Philosophy, Politics and Economics of International Taxation
3 - 3/10/24 International Taxation as International Law and History of International Taxation
4 - 8/10/24 The Sources of International Tax Law: The OECD Model Tax Convention versus the UN Model Tax Convention
5 - 10/10/24 The Nexus for Worldwide Taxation: The Tax Residence of Individuals and Corporations
6 - 15/10/24 FOCUS: Cross-border Taxation of Sports Professionals
7 - 17/10/24 The Tax Residence of Corporations and The Apple Double Irish with Dutch Sandwich
8 - 22/10/24 The Nexus for Territorial Taxation: Formal Rules and Substantive Rules to Tax Passive and Active Income
9 - 24/10/24 The Nexus for Worldwide Taxation: How to Tax Outbound Income
10 - 29/10/24 Introduction to Indirect Taxation on International Trades
11 - 31/10/24 How To Tax Inbound Income: Withholding Tax v. Tax Return. The Missing Genuine Nexus to Land
12 - 5/11/24 The Permanent Establishment (PE) and Principles of Profits Allocation
13 - 7/11/24 Taxation of the Digital Economy: From the Traditional PE to the New Concept of "Digital" PE of Foreign Taxpayers
14 - 12/11/24 Dividends and Participation Income Relief
15 - 14/11/24 The Scope of Transfer Pricing Legislation and its Methods
16 - 19/11/24 Treaties and EU Directives Anti-Abuse Provisions
17 - 21/11/24 Anti-Tax Avoidance Directives
18 - 26/11/24 The Base Erosion Profits Shifting (BEPS) Project and its Development
19 - 28/11/24 The OECD Multilateral Tax Instrument (MLI)
20 - 3/12/24 Pillar 2: The Global Minimum Tax
21 - 5/12/24 Mandatory Disclosure Rules (MDR), Cooperation between Tax Authorities and Dispute Resolution
22 - 10/12/24 FOCUS: Corporate Reorganizations
2 - 26/9/24 Philosophy, Politics and Economics of International Taxation
3 - 3/10/24 International Taxation as International Law and History of International Taxation
4 - 8/10/24 The Sources of International Tax Law: The OECD Model Tax Convention versus the UN Model Tax Convention
5 - 10/10/24 The Nexus for Worldwide Taxation: The Tax Residence of Individuals and Corporations
6 - 15/10/24 FOCUS: Cross-border Taxation of Sports Professionals
7 - 17/10/24 The Tax Residence of Corporations and The Apple Double Irish with Dutch Sandwich
8 - 22/10/24 The Nexus for Territorial Taxation: Formal Rules and Substantive Rules to Tax Passive and Active Income
9 - 24/10/24 The Nexus for Worldwide Taxation: How to Tax Outbound Income
10 - 29/10/24 Introduction to Indirect Taxation on International Trades
11 - 31/10/24 How To Tax Inbound Income: Withholding Tax v. Tax Return. The Missing Genuine Nexus to Land
12 - 5/11/24 The Permanent Establishment (PE) and Principles of Profits Allocation
13 - 7/11/24 Taxation of the Digital Economy: From the Traditional PE to the New Concept of "Digital" PE of Foreign Taxpayers
14 - 12/11/24 Dividends and Participation Income Relief
15 - 14/11/24 The Scope of Transfer Pricing Legislation and its Methods
16 - 19/11/24 Treaties and EU Directives Anti-Abuse Provisions
17 - 21/11/24 Anti-Tax Avoidance Directives
18 - 26/11/24 The Base Erosion Profits Shifting (BEPS) Project and its Development
19 - 28/11/24 The OECD Multilateral Tax Instrument (MLI)
20 - 3/12/24 Pillar 2: The Global Minimum Tax
21 - 5/12/24 Mandatory Disclosure Rules (MDR), Cooperation between Tax Authorities and Dispute Resolution
22 - 10/12/24 FOCUS: Corporate Reorganizations
Prerequisiti
A Tax law course is a preferable precondition for foreign students, it is a compulsory for Italian students.
Metodi didattici
The attendance of the course is highly recommended. Case studies, seminars and visits shall be carried out during the course and shall constitute part of the final assessment.
Materiale di riferimento
REUVEN S. AVI-YONAH, Advanced Introduction to International Tax Law, Edward Elgar Publishing, latest edition; (compulsory reading)
GIUSEPPE MARINO, The Dark Side of International Tax Law (The Offshore Shadow), class notes published in the Ariel webpage.
GIUSEPPE MARINO, International and European Measures for De-offshoring: Global Ambitions and Local Hypocrisies, Intertax, vol. 46/8-9, 2017 (suggested reading)
CHARLES ADAMS, For Good and Evil, The Impact of Taxes on the Course of Civilization, Madison Books - Lanham Maryland, USA, 2001; (suggested reading)
PROFESSORS BRUINS, EINAUDI, SELIGMAN AND SIR JOSIAH STAMP, Report 1806 on Double Taxation, LEAGUE OF NATIONS, 1923; (suggested reading)
OECD/G20, Base Erosion Profit Shifting, at www.oecd.org/tax/beps/beps-actions.htm (suggested reading)
SUNITA JOGARAJAN, Double Taxation and The League of Nations, Cambridge Tax Law Series, 2018 (suggested reading)
WILLIAM VLCEK, Offshore Finance and Global Governance, Palgrave Macmillan, London, 2017 (suggested reading)
TSILLY DAGAN, International Tax Policy: Between Competition and Cooperation; Cambridge Tax Law series, 2017 (suggested reading)
BRADLEY C. BIRKENFELD, The Lucifer's Banker, Greenleaf Book Group, 2018 (suggested reading)
GIUSEPPE MARINO, The Dark Side of International Tax Law (The Offshore Shadow), class notes published in the Ariel webpage.
GIUSEPPE MARINO, International and European Measures for De-offshoring: Global Ambitions and Local Hypocrisies, Intertax, vol. 46/8-9, 2017 (suggested reading)
CHARLES ADAMS, For Good and Evil, The Impact of Taxes on the Course of Civilization, Madison Books - Lanham Maryland, USA, 2001; (suggested reading)
PROFESSORS BRUINS, EINAUDI, SELIGMAN AND SIR JOSIAH STAMP, Report 1806 on Double Taxation, LEAGUE OF NATIONS, 1923; (suggested reading)
OECD/G20, Base Erosion Profit Shifting, at www.oecd.org/tax/beps/beps-actions.htm (suggested reading)
SUNITA JOGARAJAN, Double Taxation and The League of Nations, Cambridge Tax Law Series, 2018 (suggested reading)
WILLIAM VLCEK, Offshore Finance and Global Governance, Palgrave Macmillan, London, 2017 (suggested reading)
TSILLY DAGAN, International Tax Policy: Between Competition and Cooperation; Cambridge Tax Law series, 2017 (suggested reading)
BRADLEY C. BIRKENFELD, The Lucifer's Banker, Greenleaf Book Group, 2018 (suggested reading)
Modalità di verifica dell’apprendimento e criteri di valutazione
Exam
The final exam shall consist of an oral conversation and shall be based on the topics carried on during the classes.
The final exam shall consist of an oral conversation and shall be based on the topics carried on during the classes.
Siti didattici
Docente/i