The focus of this work is the legal position of the taxpayer in the exchange of tax-related information between States. In that regard the book addresses four main questions:
- When exchanging information, do States have a legal duty to protect the interests of their internal taxpayers/suppliers of information, apart from the obligation to protect the interests of the contracting States?
- If the last question is answered in the affirmative, can this duty be fulfilled under the current rules concerning the international exchange of information?
- Within this framework, what are the interests of States and taxpayers to be weighed?
- How can the legal protection of taxpayers supplying information be best achieved?