Skip to main content Accessibility help
×
Hostname: page-component-84b7d79bbc-g78kv Total loading time: 0 Render date: 2024-07-29T02:18:20.596Z Has data issue: false hasContentIssue false

4 - Residence country taxation

Published online by Cambridge University Press:  03 May 2011

Peter Harris
Affiliation:
University of Cambridge
David Oliver
Affiliation:
London School of Economics and Political Science
Get access

Summary

The discussion now proceeds to consider the tax treatment in the country where the income recipient is resident on the assumption that the source country has taxed in the manner discussed in Chapter 3. Accordingly, in the context of the Base Case (see the figure on page 5), the discussion in this chapter considers the tax treatment of Beth by Country B on the assumption that the rent from her office building in Country A has been taxed by Country A on the basis of source. This assumption is consistent with the principle of source country entitlement discussed above at 2.2.1. Consistent with the discussion in Chapter 3, there are cases in which the source country might not tax, such as where the income involved is royalties or business income in the absence of a PE. In such a case, residence country taxation is straightforward and there is no issue of that country providing foreign tax relief.

In most cases, however, the source country will tax. This is true in the context of the Base Case, where Country A is very likely to tax the rent because it is income from immovable property. Assuming the source country taxes, it will typically do so without reference to taxation by the residence country. By contrast, the residence country will typically take into account any tax levied by the source country. For this reason, the residence country usually has the final say as to the overall tax liability of the recipient.

Type
Chapter
Information
Publisher: Cambridge University Press
Print publication year: 2010

Access options

Get access to the full version of this content by using one of the access options below. (Log in options will check for institutional or personal access. Content may require purchase if you do not have access.)

Save book to Kindle

To save this book to your Kindle, first ensure coreplatform@cambridge.org is added to your Approved Personal Document E-mail List under your Personal Document Settings on the Manage Your Content and Devices page of your Amazon account. Then enter the ‘name’ part of your Kindle email address below. Find out more about saving to your Kindle.

Note you can select to save to either the @free.kindle.com or @kindle.com variations. ‘@free.kindle.com’ emails are free but can only be saved to your device when it is connected to wi-fi. ‘@kindle.com’ emails can be delivered even when you are not connected to wi-fi, but note that service fees apply.

Find out more about the Kindle Personal Document Service.

  • Residence country taxation
  • Peter Harris, University of Cambridge, David Oliver, London School of Economics and Political Science
  • Book: International Commercial Tax
  • Online publication: 03 May 2011
  • Chapter DOI: https://doi.org/10.1017/CBO9780511777028.006
Available formats
×

Save book to Dropbox

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Dropbox.

  • Residence country taxation
  • Peter Harris, University of Cambridge, David Oliver, London School of Economics and Political Science
  • Book: International Commercial Tax
  • Online publication: 03 May 2011
  • Chapter DOI: https://doi.org/10.1017/CBO9780511777028.006
Available formats
×

Save book to Google Drive

To save content items to your account, please confirm that you agree to abide by our usage policies. If this is the first time you use this feature, you will be asked to authorise Cambridge Core to connect with your account. Find out more about saving content to Google Drive.

  • Residence country taxation
  • Peter Harris, University of Cambridge, David Oliver, London School of Economics and Political Science
  • Book: International Commercial Tax
  • Online publication: 03 May 2011
  • Chapter DOI: https://doi.org/10.1017/CBO9780511777028.006
Available formats
×