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Taxbeech

By taxbeech

To learn about cross border taxation
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Article 5 of Multilateral Instruments | Application of Methods for Elimination of Double Taxation

TaxbeechApr 28, 2021

00:00
14:10
Article 13 of MLI | Exceptions to PE

Article 13 of MLI | Exceptions to PE

Article 13 of the MLI modifies Article 5(4) of the OECD Model Tax Convention, which deals with a list of exceptions that do not constitute a Permanent Establishment. The rationale behind creating an exception list is that all activities mentioned in the list have a preparatory or auxiliary character that is not enough to establish a significant economic presence in another jurisdiction.

This episode is also available as a blog post: https://taxbeech.com/2021/06/29/complete-guide-on-article-13-of-mli/

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Understanding Compatibility Clause
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Article 10 of MLI – PE Triangular Case
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Everything about Triangular Cases
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Capital Gains from Alienation of Shares or Interests – Article 9 of MLI
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Dividend Transfer Transactions – Article 8 of MLI
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Everything about Simplified Limitation of Benefits | SLOB Test
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Principal Purpose Test | Paragraph 1 of Article 7 of MLI
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Article 6 of MLI – Purpose of Covered Tax Agreement
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Article 5 of Multilateral Instruments | Application of Methods for Elimination of Double Taxation
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Article 4 of MLI | Dual Resident Entities
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Article 1 and 2 of Multilateral Convention
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Article 3(1) of MLI – Taxation of income derived by or through fiscally transparent entities
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