Unit 13: Double Taxation - Subjective Questions

DEBSL501 — Corporate Tax Structure And Planning • Practice Questions with Detailed Answers

20 questions

1

Define double taxation and explain its two principal forms.

2

What is a Double Taxation Avoidance Agreement (DTAA)? State its major objectives.

3

Distinguish between the residence rule and the source rule of international taxation.

4

Explain the exemption method of providing relief from double taxation. Distinguish between full exemption and exemption with progression.

5

Explain the foreign tax credit method and distinguish between ordinary credit and full credit.

6

A resident company earns foreign income of on which foreign tax of is paid. The domestic tax attributable to that income is . Calculate the foreign tax credit and the additional domestic tax payable. How would the answer change if foreign tax were ?

7

Describe the typical structure and important articles of a DTAA.

8

What is a permanent establishment (PE)? Explain its importance under a DTAA.

9

Explain how DTAAs generally allocate taxing rights over dividends, interest, and royalties.

10

Explain the meaning and importance of the beneficial ownership requirement in tax treaties.

11

Compare bilateral relief and unilateral relief from double taxation.

12

What is the Mutual Agreement Procedure (MAP)? Explain how it helps resolve international tax disputes.

13

Distinguish between tax planning, tax avoidance, and tax evasion in an international context.

14

Explain treaty shopping and discuss the principal measures used to prevent it.

15

Describe common methods of international tax avoidance used by multinational enterprises.

16

What is international tax evasion? Describe common forms and their legal consequences.

17

Explain the role of transfer pricing rules in preventing international profit shifting.

18

Discuss how exchange of information and international administrative cooperation help combat tax avoidance and evasion.

19

Explain the Base Erosion and Profit Shifting (BEPS) problem and summarize major international responses to it.

20

Analyze a case in which a company routes royalty income through a shell entity in a treaty country solely to obtain a reduced withholding-tax rate. Identify the relevant treaty and anti-avoidance issues.