International Tax Law Reports
International Tax Law Reports is an important part of the range of Butterworths law reports.
One Year Subscription Only Terms
Subscribers receive the product(s) listed on the Order Form and any Updates made available during the annual subscription period. Shipping and handling fees are not included in the annual price.
Subscribers are advised of the number of Updates that were made to the particular publication the prior year. The number of Updates may vary due to developments in the law and other publishing issues, but subscribers may use this as a rough estimate of future shipments. Subscribers may call Customer Support at 800-833-9844 for additional information.
Subscribers may cancel this subscription by: calling Customer Support at 800-833-9844; emailing customer.support@lexisnexis.com; or returning the invoice marked 'CANCEL'.
If subscribers cancel within 30 days after the product is ordered or received and return the product at their expense, then they will receive a full credit of the price for the annual subscription.
If subscribers cancel between 31 and 60 days after the invoice date and return the product at their expense, then they will receive a 5/6th credit of the price for the annual subscription. No credit will be given for cancellations more than 60 days after the invoice date. To receive any credit, subscriber must return all product(s) shipped during the year at their expense within the applicable cancellation period listed above.
Product description
Why should you buy International Tax Law Reports
International Tax Law Reports is an important part of the range of Butterworths law reports.
The reports provide readers with judgments and decisions of major tax cases from all over the world. Areas covered include the interpretation and application of double taxation conventions based on OECD model provisions, transfer pricing, particularly cases on the application of pricing methodologies, and the application of controlled foreign corporation rules. The work also examines application of double taxation conventions based on OECD model provisions.
The reports are issued six times a year, at two-month intervals and each report covers an average of seven of the most significant cases. Concise headnotes and practical commentary are provided by the editor to ensure practitioners are made fully aware of the key points of the case. Many such decisions are in languages other than English. In some cases, official translations may be unobtainable; in others, there may be a significant delay before an official translation is available; and without our unofficial translations, such cases would not be readily accessible.
All our unofficial translations are commissioned by the publishers from expert practitioners and prepared to the highest standards from official court transcripts in the original language. Subscribers should, however, bear in mind that the translations themselves do not have the official sanction of the court. All this and more are available on Tolley®Library.