Some comments to the tax consequences arising from cross-border secondment of staff
Keywords:
Secondment, Tax, Income Tax, Double Residence, Allocation of EmployeesAbstract
The objective of this article is to analyze, from a tax perspective some aspects arising from the secondment, such as the possible double residence of the employees assigned, the application of income tax on income from personal service
dependent on light model Convention for the Avoidance of Double Taxation of the Organization for Economic Cooperation and Development (“OECD CDI”) and the possible establishment of a permanent establishment by assigning employees to the State of destination.
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Published
2016-02-07
How to Cite
López Saldaña, C. (2016). Some comments to the tax consequences arising from cross-border secondment of staff. IUS ET VERITAS, 24(52), 102–112. Retrieved from https://revistas.pucp.edu.pe/index.php/iusetveritas/article/view/16373
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Copyright (c) 2017 IUS ET VERITAS

This work is licensed under a Creative Commons Attribution 4.0 International License.

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