Tax Avoidance in Case Law: European Perspectives: Routledge Research in Tax Law
Editat de Dominik Jan Gajewskien Limba Engleză Hardback – 10 iul 2026
Analysing the most common tax avoidance instruments in European case-law, the book discusses transfer pricing, double taxation treaties, and the anti-avoidance clause. Using eight countries as case studies, Poland, Spain, Portugal, the Netherlands, Sweden, Germany, France and Italy, the book compares their different approaches to tax avoidance from the perspective of both the tax policy of the state and the strategies used by international holding companies. Additionally, the book analyses the case-law of the CJEU, widening the approach to cover tax avoidance across EU countries. Using both a practical and theoretical methodology, the book looks at the relationship between circumvention of the law, tax optimization, tax avoidance, abuse of law, and tax planning.
The book will be of interest to researchers in the field of tax law, tax avoidance law, financial law and European law.
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Specificații
ISBN-13: 9781041144236
ISBN-10: 1041144237
Pagini: 280
Ilustrații: 10
Dimensiuni: 156 x 234 mm
Ediția:1
Editura: Taylor & Francis
Colecția Routledge
Seria Routledge Research in Tax Law
Locul publicării:Oxford, United Kingdom
ISBN-10: 1041144237
Pagini: 280
Ilustrații: 10
Dimensiuni: 156 x 234 mm
Ediția:1
Editura: Taylor & Francis
Colecția Routledge
Seria Routledge Research in Tax Law
Locul publicării:Oxford, United Kingdom
Public țintă
AcademicCuprins
Introduction
1. Tax Avoidance in the Light of the Case Law of Administrative Courts
2. Empirical Analysis of Polish Case Law as Regards Tax Avoidance
3. Transfer Pricing in the Case Law of Administrative Courts in Poland
4. Analysis of the Case Law of the Polish Administrative Courts Regarding Double Taxation Treaties
5. Anti-Avoidance Rules in the Polish Case Law of the Courts
6. The case law of the German courts
7. Italy - the case law
8. France – the case law
9. The Netherlands – the case law
10. Portugal and Spain – the case law
11. Sweden – the case law
12. Court of Justice of the European Union (CJEU) – the case law
Conclusion
1. Tax Avoidance in the Light of the Case Law of Administrative Courts
2. Empirical Analysis of Polish Case Law as Regards Tax Avoidance
3. Transfer Pricing in the Case Law of Administrative Courts in Poland
4. Analysis of the Case Law of the Polish Administrative Courts Regarding Double Taxation Treaties
5. Anti-Avoidance Rules in the Polish Case Law of the Courts
6. The case law of the German courts
7. Italy - the case law
8. France – the case law
9. The Netherlands – the case law
10. Portugal and Spain – the case law
11. Sweden – the case law
12. Court of Justice of the European Union (CJEU) – the case law
Conclusion
Notă biografică
Dominik Jan Gajewski, Professor of law; Head of Tax Department SGH Warsaw School of Economics, Poland; Head of Centre for Analyses and Studies of Taxation SGH; he is a judge of the Supreme Administrative Court. From 2014 to 2016, he was a member of the Tax Law Advisory Board to the Minister of Finance (Poland). He has served as an expert for the European Commission in developing strategies to combat international tax avoidance and is an expert for Team Europe at the European Commission Representation in Poland. Author of over 230 scientific papers.
Descriere
This book elaborates on the issue of tax avoidance in the light of domestic case-law of the European Union Member States and the case-law of the Court of Justice of the European Union (CJEU). It will be of interest to researchers in the field of tax law, tax avoidance law, financial law and European law.