Towards
Global Tax Co-operation by OECD - Progress in Identifying
and Eliminating Harmful Tax Practices
Report
to the 2000 Ministerial Council Meeting and Recommendations
by the Commitee on Fiscal Affairs
Using
a UK Company for Offshore Trading Purposes
The
concept envisages the use of a UK incorporated and
tax paying company that will transact business on
behalf of an undisclosed offshore company.
Offshore,
Back-to-Back and Captive Operations
A
captive insurance company is usually setup by non-insurers
to insure risks associated with their business or
their affiliates’ business.
Tax
Planning Strategies for Financing Subsidiaries and
Acquisitions in Europe
The
completion of the Single European Market in 1993 has
given an enormous impetus to cross-border operations
through setting up European subsidiaries or acquiring
such targets.
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