Model Tax Convention: Attribution of Income to Permanent Establishments

This publication examines the circumstances under which income is to be attributed to a permanent establishment for purposes of an income tax treaty, particularly where goods, services, or intangibles are transferred between the permanent establishment and the home office or another permanent establishment in a third country.

18 janv. 1994 49 pages Anglais Egalement disponible en : Français

https://doi.org/10.1787/g2ghgc21-en 9789264337794 (PDF)

Auteur(s) : OCDE