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Samenvatting/Summary/Notes Advanced International Tax Law UA | 2025/26

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Samenvatting in het Engels Study notes from the Advanced Course on International Tax Law at Universiteit Antwerpen covering fundamental taxation principles and policy frameworks. The document outlines key concepts including residence vs. source state taxation, territorial vs. worldwide taxation systems, double taxation mechanisms (IIR, UTPR, QDMTT), and legal sources in international tax law including tax treaties and OECD guidelines. Essential reference material for understanding cross-border taxation, neutrality principles, and the global minimum tax framework—perfect for exam preparation and clarifying complex international tax doctrine.

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Introduction
1 Key Concepts
Residence stage = home state (capital exporting, creditor)
Source state = host stage (capital importing, debtor)

2 Right to tax
2 questions
1) Can state tax?: state = jurisdiction -> state = nexus (connection)
2) How much can state tax?: inc allocation
2 possibilities
- Territorial taxation
o = only tax income in that state
o Obj/physical nexus: place of activity, payment, assets…
o Benefits principle + territoriality principe
- Worldwide taxation
o = tax resident’s wordwide income (domestic + foreign)
o Subj/personal nexus
 Individual: nationality, residence
 Company: place of incorporation/establishment, management,
head office…
o Ability tot pay principe + universality principe

3 Passive & active income
Pass/investment inc = div, i, royalties, rent
-> tax at residence
Act/business inc
-> tax at source

4 Legal sources
Primary sources
- Domestic/supranat/internat law
- Case law
- Tax treaties, MLI…
Soft law
- OECD/UN treaty models + comm
- TP guidelines
- Policy documents (eg. BEPS)
 No def in treaty -> dom law (/ agreement between states)
Jurisd
- Exclusive
o “shall be taxable only”
o = only residence/source state can tax
- Shared
o “may be taxed”


1

, o = both states can tax (°DT)
MLI (multilateral instrument)
= change specific tax treaty provisions




5 Policy goals
= equity (fairness) + efficiency + administrability
Efficiency in cross border context
- Cap import neutrality (CIN): eg. same WHT for local investors & investors
aborad
- Cap export neutrality (CEN): eg. investing local = investing abroad
- Nat neutrality (NN)
- Cap ownership neutrality (CON)
- Nat ownership neutrality (NON)
- Global portfolio neutrality (GPN)

6 Double taxation
Possible conflicts
- Residence-residence: multiple sates claim to be residence state
-> rule = art. 4
- Source-source: multiple sates claim to be source state
- Residence-source: 1 state taxes on basis of residence & other state taxes
on basis of source
Juridical & economic DT
- Jur: inc belongs to same taxpayer
- Eco: inc belongs to different taxpayers

7 DT relief
2 mechanisms (art. 23)
- Exemption method
o = exemption for foreign inc
o +: look for country with low tax rate
- Credit method
o = include foreign inc in tax base BUT tax credit for paid foreign tax
o -: if 0 tax in 1st country -> pay all the tax in 2nd country
- (Deduction = deduct foreign taxes as cost)


2

, 8 Subject to tax rule
Sidro doctrine (Cass): meaning of “taxed” inc (subject to tax in other country?)
- Nt per se echt bel betaald
- Voldoende als onderworpen aan bel systeem in land (ook als bv. vrijgesteld
daar)
Eg.
- UAE ≠ inc tax regime -> subject to tax rule ≠ met
- NL = exemption -> OK (not taxed in BE)
(Kritiek: RS uit 1970 ivm interpr nat R gebruiken voor interpr DBV)

9 Double non-taxation
= mismatch (country look at it differently)
Hybrid mismatch
- Hybrid entity: fiscally transparent (non-taxable)<-> non-transparant
(taxable)
- Hybrid instr: investment <-> loan
- => Deduction + non-inclusion
Residence
- Dual residence
-> double deduction
- No residence: stateless taxpayer
-> no worldwide taxation

10 Scope of application of tax treaties
Ratione personae
- Persons (individual, company, other body)
- Residents of 1/both states




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