O'Shea, T
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The person O'Shea, T represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
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O'Shea, T
Resource Information
The person O'Shea, T represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
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- O'Shea, T
123 Items by the Person O'Shea, T
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- X GmbH : German CFC rules upheld by CJEU in absence of exchange of information provision
- A critical analysis of the CJEU Advocate General's opinion in Hornbach-Baumarkt
- A failing grade for Germany's rules on school fees
- Advocate General: CJEU should overrule Marks & Spencer
- An analysis of some Apple state aid arguments
- Apple's tax planning scheme and CJEU jurisprudence
- Austria's flawed R&D tax reduction regime
- Austrian dividend taxation rules are partially unacceptable, ECJ says
- Automatic exchange of information continues to expand in the EU
- Belgian inheritance tax rules breach EU law
- Belgian inheritance tax rules succesfully challenged before the ECJ
- Belgian notional interest deduction rules challenged before the ECJ
- Belgian property tax successfully challenged before the CJEU
- Belgian taxation of foreign investment companies successfully challenged
- CFC Reforms in the UK - some EU law comments
- CJEU : German reinvestment relief breaches freedom of establishment
- CJEU addresses Dutch rules on deductions for interest payments and exchange rate losses in X BV and X NV
- CJEU allows non-arm's-length transactions if supported by commercial justification
- CJEU allows use of different tax credit rule for member state and third country
- CJEU examines 'deferred taxation' under the Merger Directive and the freedom of establishment
- CJEU examines Finland's taxation of foreign branches
- CJEU finds Belgian withholding tax compatible with EU Parent-Subsidiary Directive
- CJEU finds French dividend withholding rules breach freedom of establishment
- CJEU finds French merger rules in breach of EU law
- CJEU finds German exemption regime acceptable
- CJEU finds Greek inheritance tax exemption incompatible with TFEU
- CJEU finds former French tax shield incompatible with EU law
- CJEU holds French dividend taxation rules incompatible with EU law
- CJEU rejects challenges to German taxation of insolvency benefits
- CJEU rules on Dutch withholding taxes on dividends
- CJEU says Belgian fairness tax on dividends violates EU law
- CJEU says Denmark must grant loss relief for final cross-border losses
- CJEU says France breached EU law with its dividend taxation rules
- CJEU says German rules must respect EU-Swiss agreement on free movement of persons
- CJEU says Italy's taxation of gambling rules infringe EU law
- CJEU says Luxembourg taxation of some pensions violates TFEU
- CJEU says Portuguese taxes on outbound interest violate EU law
- CJEU tackles 'reference framework' definition in State aid cases
- CJEU upholds French exit taxes in case interpreting the EU-Switzerland agreement
- Cartesio : moving a company's seat now easier in the EU
- Comments on the EU's proposed indirect digital services tax
- Commission v. Denmark : can cohesian work as a justification?
- Cross-border health insurance and pension contributions deductible in Germany, says CJEU
- Danish interest deduction rules succesfully challenged before the CJEU
- Danish loss recapture rules found incompatible with EU law
- Danish rules concerning loss relief succesfully challenged before CJEU
- Dividend taxation post-Manninen : shifting sands or solid foundations?
- Dutch exit tax rules challenged in National Grid Indus
- Dutch tax integration rules succesfully challenged before the CJEU
- Dutch treatment of two nonresident workers may be contrary to EU law
- ECJ and taxation of residents and nonresidents - deduction of expenses
- ECJ determines applicability of German tax advantages for Swiss residents
- ECJ find Finnish withholding tax rules unacceptable in Luxembourg SICAV case
- ECJ finds Finland's exchange of shares exemption incompatible with EEA agreement
- ECJ finds German pension bonus rules discriminatory
- ECJ rules German business tax compatible with Interest and Royalty Directive
- ECJ rules against U.K. group loss relief rules
- ECJ rules dissolution of a company not the same as liquidation
- ECJ says Hungarian conversion rules unacceptable
- ECJ upholds Dutch withholding tax on cross-border services
- EU adopts recovery of taxes directive
- EU tax law and double tax conventions
- Ensuring fair taxation : 20 years of the EU's Code of Conduct group
- European Commission challenges Spanish exit tax rules
- European Commission succesfully challenges Estonia's personal allowance rules
- European Commission's challenge fails in outbound interest case
- European Community tax law - taxation of capital gains
- European tax controversies - quis custodiet ipsos custodes?
- European tax controversies : a British-Dutch debate : back to basics and is the ECJ consistent?
- Exit taxes post-Cartesio : Cartesio Oktató és Szolgáltató bt
- Festersen : another new fundamental freedom?
- Finnish tax rules on cross-border mergers challenged
- Finnish taxation of nonresident pension funds breaches EU law
- Fiscal policy in the EU : recent developments
- Former German exit tax rules may be acceptable, ECJ says
- Freedom of establishment tax jurisprudence : Avoir Fiscal re-visited
- French dividend tax credit rules breach EU law, ECJ says
- French taxation of foreign UCITS found incompatible with EU law
- German inheritance tax rules upheld by the ECJ
- German law on Swiss income breached nondiscrimination principle
- German loss deduction and reintegration rules and the ECJ
- German loss recapture rules compatible with EU law
- German rules denying deduction of annuities successfully challenged
- German tax rules prevail over Austrian bank secrecy legislation, CJEU holds
- German trade tax rules breached EU law, says CJEU
- German withholding taxes breach EU law, says CJEU
- Germany's tax credit rules successfully challenged before the ECJ
- Holböck : Austrian dividend tax rules found compatible with the EC treaty
- Huijbrechts: Belgian inheritance tax rules successfully challenged before the CJEU
- Hypothekenbank: CJEU finds stability charge on Austrian banks compatible with EU law
- Jacob and Lennertz : Belgian personal allowance regime in dispute before the CJEU
- Limitation on benefits clauses and EU law : examining the Japan-Netherlands LOB
- Marks and Spencer Plc. Group relief for losses of non-resident subsidiaries
- Marks and Spencer v Halsey (HM Inspector of Taxes) : restriction, justification and proportionality
- Montag: directly linked German pension payments deductible, CJEU says
- N Luxembourg 1 : CJEU finds directive benefits can be denied in abusive situations
- New EU Directive for reporting some cross-border arrangements
- Non-EU funds can be charged withholding taxes, ECJ Advocate General says in Emerging Markets
- Nondeductibility of annuity breaches EU law, ECJ says
- Portugal loses thin cap case before the ECJ
- Portuguese exit taxes successfully challenged by European Commission
- Sauvage : Luxembourg employment income may be taxed in Belgium, says CJEU
- Sofina: French withholding tax rules breached free movement of capital, CJEU says
- Some ECJ guidance on abusive tax practices in the European Union
- Spain's dividend taxation rules breach EU law
- Tax harmonization vs. tax coordination in Europe : different views
- Taxation of non-residents
- Taxpayer wins first round in consortium relief case
- The ECJ, the 'D' case, double tax conventions and most-favoured nations : comparability and reciprocity
- The EU's proposed 'significant digital presence' framework
- The UK's CFC rules and the freedom of establishment : Cadbury Schweppes plc and its IFSC subsidiaries - tax avoidance of tax mitigation?
- The common consolidated corporate tax base (CCCTB) : issues for Member States opting out and third countries : a critique and some in depth analysis
- The importance of the EU's platform for tax good governance
- Thin Cap GLO and third-country rights : which freedom applies?
- Thoughts on the compatibility of LOB clauses and EU law
- U.K. attribution of gains rules found incompatible with EU law
- U.K. group relief regime is compatible with EU law
- U.K. rules governing exit taxes for trusts challenged before CJEU
- U.K. transfer of assets abroad rules at issue in Fisher
- UK consortium group relief rules are defective, CJEU says
- Uncertainty in the Belgian business expense deduction rules
- Wächtler : German exit tax rules successfully challenged before the CJEU (again)
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<div class="citation" vocab="http://schema.org/"><i class="fa fa-external-link-square fa-fw"></i> Data from <span resource="http://link.library.ibfd.org/resource/pcr2yrkJEKg/" typeof="Person http://bibfra.me/vocab/lite/Person"><span property="name http://bibfra.me/vocab/lite/label"><a href="http://link.library.ibfd.org/resource/pcr2yrkJEKg/">O'Shea, T</a></span> - <span property="potentialAction" typeOf="OrganizeAction"><span property="agent" typeof="LibrarySystem http://library.link/vocab/LibrarySystem" resource="http://link.library.ibfd.org/"><span property="name http://bibfra.me/vocab/lite/label"><a property="url" href="http://link.library.ibfd.org/">International Bureau of Fiscal Documentation</a></span></span></span></span></div>