This unique and practical work covers the rules determining which transactions may be classified and therefore taxed as dividend income and how classification conflicts may be resolved. The author examines the classification of various inter-corporate transactions, including:
- payments made under dividend-stripping arrangements
- fictitious profit distributions
- economic benefits in the context of transfer pricing
- returns on debt-equity hybrids
- interest payments in thin capitalization situations and distributions following liquidation
The analysis of each transaction refers to international tax law, including tax treaties, European tax law and the domestic tax law of Finland, Germany, Sweden and the United States. The comprehensive coverage and practical nature of The International Tax Law Concept of Dividend make it an essential acquisition for tax practitioners, researchers and tax libraries worldwide.