Model Tax Convention on Income and on Capital: Condensed Version 2017
Hide / Show Abstract

Model Tax Convention on Income and on Capital: Condensed Version 2017

This publication is the tenth edition of the condensed version of the OECD Model Tax Convention on Income and on Capital. This shorter version contains the articles and commentaries of the Model Tax Convention on Income and Capital as it read on 21 November 2017, but without the historical notes and the background reports that are included in the full version.

The full version of the OECD Model Tax Convention for each edition is published separately. It is available in print, PDF and web formats. The web format includes extensive interlinking, making it easy to link from articles to related commentaries. The web and PDF versions will be available via the OECD iLibrary.

Click to Access: 
    http://oecd.metastore.ingenta.com/content/2317531e.pdf
  • PDF
  • http://www.keepeek.com/Digital-Asset-Management/oecd/taxation/model-tax-convention-on-income-and-on-capital-condensed-version-2017_mtc_cond-2017-en
  • READ
 
Chapter
 

Commentary on Article 7 You do not have access to this content

English
Click to Access: 
    http://oecd.metastore.ingenta.com/content/2317531ec010.pdf
  • PDF
  • http://www.keepeek.com/Digital-Asset-Management/oecd/taxation/model-tax-convention-on-income-and-on-capital-condensed-version-2017/commentary-on-article-7_mtc_cond-2017-10-en
  • READ
Author(s):
OECD

Hide / Show Abstract

This Article allocates taxing rights with respect to the business profits of an enterprise of a Contracting State to the extent that these profits are not subject to different rules under other Articles of the Convention. It incorporates the basic principle that unless an enterprise of a Contracting State has a permanent establishment situated in the other State, the business profits of that enterprise may not be taxed by that other State unless these profits fall into special categories of income for which other Articles of the Convention give taxing rights to that other State.

 
Visit the OECD web site