Taxation International New Releases

Schwarz on Tax Treaties 7th ed

By Jonathan Schwarz
Kluwer Law International October 2025

Specifications

ISBN-13
9789403535692
Publisher
Kluwer Law International
Publication
October 2025
Format
Hardback
Jurisdiction
U.K. ? Countri(es) for reference only

Details

About this book:

Schwarz on Tax Treaties, now in its seventh edition, is the definitive analysis of tax treaties from a global perspective and provides in-depth expert analysis of the interpretation and interaction of the interpretation and interaction of United Kingdom and Irish treaty networks with European Union and international law.

 

This book bridges the gap between academic scholarship and practical guidance in a clear, accessible manner. It is an essential and authoritative reference in the field of international tax law.

 

What’s in this book:

This edition significantly develops the earlier work with enhanced commentary to include the latest international developments, including:

 

  • Treaty residence – liability to tax and resolution of dual residence;
  • Permanent establishment – carrying on business and power of disposal; services PE time threshold;
  • PE profits – the Authorised OECD Approach and EU State Aid;
  • Natural resource exploitation income;
  • EU Directive on faster and safer relief of excess withholding taxes;
  • ‘the main purpose or one of the main purposes’ in determining abuse;
  • CRS Avoidance; Digital Platforms; crypto-assets; Global Minimum Tax; and
  • Exchange of information – ‘fishing expeditions’; human rights; legal professional privilege.

Case law developments cover more than fifty new judicial decisions from around the world, including:

 

  • UK Supreme Court: Skatteforvaltningen (Danish Tax Administration) v Solo Capital Partners; Royal Bank of Canada v HMRC;
  • Australian High Court and Federal Court: Addy v CoT; Oracle Corporation Australia v CoT;
  • Spanish Supreme Court: doña Sagrario v Administración General del Estado;
  • German Federal Fiscal Court: Case (I R 47/20)- aircraft engineer;
  • English Court of Appeal: HMRC v GE Financial Investments; Hargreaves Property Holdings v HMRC; BlackRock HoldCo 5, LLC v HMRC;
  • Irish Court of Appeal: Susquehanna International v RC;
  • Indian High Court: International Management Group v CIT; Johnson Matthey v CIT; Shell India Markets v India;
  • UK Tax Tribunals: Burlington Loan Management v HMRC; McCabe v HMRC; Lundberg v First-Tier Tribunal; Oppenheimer v HMRC; HMRC v Aozora GMAC Investment; and
  • CJEU: Airbnb v Agenzia delle Entrate; European Commission v Ireland and Apple; Orde van Vlaamse Balies v Vlaamse Regering; Schneider Electric v Ministre de l’Economie.

How this will help you:

This remarkable book provides expert analysis of all aspects of tax treaties. Authoritative commentary by a globally recognised expert in international taxation and treaty law on judicial decisions and administrative practice around the world on two important treaty networks, provides an all-round international perspective to assist readers concerned with the international aspects of taxation in all states.

 

Table of Contents

About the Author

 

List of Abbreviations

 

Preface

 

CHAPTER 1

The Legal Framework: International Law

 

CHAPTER 2

The Legal Framework: National Law – The United Kingdom; Éire

(Ireland)

United Kingdom

 

CHAPTER 3

The Legal Framework: European Law

 

CHAPTER 4

Interpretation of Tax Treaties

 

CHAPTER 5

Scope of Tax Treaties: Taxes Covered, Territorial and Temporal Scope

 

CHAPTER 6

Access to Treaty Benefits: Fiscal Domicile, Personality and Nationality

 

CHAPTER 7

Permanent Establishment

 

CHAPTER 8

Distributive Provisions of Income Tax Treaties

 

CHAPTER 9

Business Profits

 

CHAPTER 10

Income from Property

 

CHAPTER 11

Employment and Pensions

 

CHAPTER 12

Capital Gains

 

CHAPTER 13

Other Income and Miscellaneous Cases

 

CHAPTER 14

Treaties and European Tax Directives

 

CHAPTER 15

Elimination of Double Taxation

 

CHAPTER 16

Non-discrimination

 

CHAPTER 17

Treaty Shopping and Other Avoidance

 

CHAPTER 18

Multilateral Convention to Implement Tax Treaty Related Measures to

Prevent Base Erosion and Profit Shifting

 

CHAPTER 19

Administration of Treaties

 

CHAPTER 20

Disputes and Mutual Agreement Procedure

 

CHAPTER 21

EU Directive on Dispute Resolution and the Arbitration Convention

 

CHAPTER 22

International Administrative Cooperation

 

Table of Cases

 

Table of Legislation

 

Table of Bilateral Treaties

 

Other Treaties and Conventions

 

Index

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