The real estate clause in the OECD model tax convention and its reception into Polish law Cover Image

The real estate clause in the OECD model tax convention and its reception into Polish law
The real estate clause in the OECD model tax convention and its reception into Polish law

Author(s): Piotr Gajewski
Subject(s): Law, Constitution, Jurisprudence, International Law, Civil Society, EU-Accession / EU-DEvelopment, EU-Legislation
Published by: Wydawnictwo Uniwersytetu Jagiellońskiego
Keywords: international tax law; real estate clause; real estate company; OECD Model Tax Convention; immovable property; double tax convention

Summary/Abstract: This article deals with the issue of the real estate clause and its reception to Polish law as a real estate company. The research was conducted on the grounds of Corporate Income Tax Act and Personal Income Tax Act. The article verifies the hypothesis the concept of the real estate clause included in the OECD Model Tax Convention constitutes a mechanism enabling the countries of the location of the real estate to participate in the benefits arising in connection with the transaction of disposal of shares in a given company in exchange for granting legal protection of such transaction. The research method used in this study was a critical analysis, including a linguistic analysis of the provisions of tax acts and international agreements to which the Republic of Poland is a party. In addition, the research methods used in this article are the analysis of views of doctrine and jurisprudence of administrative courts and tax authorities.

  • Issue Year: 30/2023
  • Issue No: 2
  • Page Range: 49-63
  • Page Count: 15
  • Language: English