[Translate to English:] Ansicht Campus WU

Xiamen University Tax Summer School 2021

Schedule

Note: all time indicated is Beijing time

Monday (19th July)

  • 3:00 - 4:30 pm: Opening

  • 5:00 - 6:30 pm: Introduction to Tax Treaty Law, Scope of Tax Treaties (Martin Klokar)

    • Structure of double tax treaties: definitions, distributive rules, and methods for elimination of double taxation

    • Interaction of domestic law and treaty law

    • OECD and UN Model Convention

    • Taxes covered, persons covered, deemed residence, center of vital interests, place of effective management

  • 7:30 - 9:00 pm: Interpretation of Tax Treaties (Ashrita Prasad Kotha)

    • Concept of interpretation, interpretation of international treaties, interpretation of tax treaties

    • Role of OECD/UN Model Convention and their Commentaries

    • DTTs in relation to domestic law

Tuesday (20th July)

  • 3:00 - 4:30 pm: Abuse of Tax Treaties – Where Are the Limits? (Stefanie Gombotz & Dorrottya Kovács)

    • Abuse in treaty law, treaty shopping, anti-abuse rules in tax treaties and under domestic law

    • Limitation-on-benefits clause, and principal-purpose test (BEPS Action 6)

  • 5:00 - 6:30 pm: Abuse in International Tax Law – BEPS (Stefanie Gombotz)

    • Aggressive tax planning structures through examples

    • Overview and status of the OECD BEPS project

  • 7:30 - 9:00 pm: Session delivered by Xiamen University

Wednesday (21st July)

  • 3:00 - 4:30 pm: Business Profits and Permanent Establishments – Basic Principles (Ashrita Prasad Kotha & Yasmin Lawson)

    • Distributive rules relevant for companies: Arts. 7, 8, and former Art. 14 OECD Model Convention

    • Definition of PE (Art. 5 OECD Model Convention/UN Model): physical PE, construction PE, agency PE, and service PE

    • Allocation of profits between head office and PE (Art. 7 para. 2 OECD Model Convention)

    • Dealings between head office and PE, AOA (Authorized OECD Approach)

  • 5:00 - 6:30 pm: Business Profits and Permanent Establishments – Recent Developments (Shimeng Lan & Yasmin Lawson)

    • Preventing the artificial avoidance of PE status (BEPS Action 7)

    • Commissionaire arrangements, and exceptions in Art. 5(4)

    • Developments in the UN Model

  • 7:30 - 9:00 pm: Transfer Pricing 1 (Dorottya Kovács)

    • Associated companies (Art. 9 OECD Model Convention)

    • OECD Transfer Pricing Guidelines

    • Transfer pricing methods through examples

    • Adjustments to intercompany pricing, secondary adjustments, documentation requirements

Thursday (22nd July)

  • 3:00 - 4:30 pm: Transfer Pricing 2 (Dorottya Kovács)

    • Case study of transfer pricing issues

  • 5:00 - 6:30 pm: Passive Income (Cristóbal Pérez Jarpa)

    • Definition of “dividends”, “interest”, and “royalties”

    • Allocation of taxing rights, withholding taxes, beneficial ownership

    • PE proviso and relation to Art 7

  • 7:30 - 9:00 pm: Immovable Property and Capital Gains (Cristóbal Pérez Jarpa)

    • Art 6: Definition of “immovable property”, allocation of taxing rights, relation to other allocation rules

    • Art 13: Definition of “alienation”, alienation of immovable property, movable property, shares, and other property

    • Relation to other allocation rules, recent case law

Friday (23rd July)

  • 3:00 - 4:30 pm: Taxation of Employment Income (Martin Klokar)

    • Distributive rule for income from dependent work, term of “salaries, wages, and other similar remuneration”

    • Term of “employer”, frontier workers, 183-days-rule

    • Distributive rule for pensions, public service pensions, distributive rule for artists and sportsmen

  • 5:00 - 6:30 pm: Methods to Avoid Double Taxation (Martin Klokar)

    • Exemption method, exemption with progression, credit method

    • Ordinary credit, tax sparing credit

  • 7:30 - 9:00 pm: Qualification and Allocation Conflicts (Shimeng Lan)

    • Qualification and allocation conflicts

    • Partnership Report, proposed rule in Art. 1(2) (BEPS Action 2)

Saturday (24th July)

  • 3:00 - 4:30 pm: Non-Discrimination and Exchange of Information (Stefanie Gombotz & Shimeng Lan)

    • Non-discrimination clauses in tax treaties (Art. 24 OECD Model Convention)

    • Case law on the non-discrimination clause

    • Art 26 OECD Model Convention: exchange of information on request, spontaneous exchange of information, automatic exchange of information

    • Model Agreement on Exchange of Information on Tax Matters (TIEA), Multilateral Convention on Mutual Administrative Assistance in Tax Matters, Agreement on the Global Standard of Automatic Information Exchange, EU developments

  • 5:00 - 6:00 pm: Tax Treaties in Practice

  • 7:00 - 8:00 pm: Dispute Resolution (Ashrita Prasad Kotha)

    • Mutual agreement procedure (MAP), arbitration

  • 8:00 - 8:15 pm: Essay Preparation and Q&A