Buch, Englisch, 304 Seiten, Format (B × H): 165 mm x 241 mm, Gewicht: 680 g
Democratic Legitimacy Tried and Tested in Matters of Taxation
Buch, Englisch, 304 Seiten, Format (B × H): 165 mm x 241 mm, Gewicht: 680 g
ISBN: 978-1-83970-156-6
Verlag: Lefebvre Sarrut Belgium NV
International affairs no longer constitute a separate, stand-alone policy area. International affairs have come to permeate virtually every aspect of society, from their origins as primarily territorial, war and peace considerations to regulating everything from consumer protection to agriculture and the environment today; this phenomenon is amplified in the European Union where there is an extra layer of supra-national legislation. In the federal state structure, where material competences are attributed to both federal and component states, the difficult question arises as to which of these levels of government should act on the international stage. Federations have to find a balance between federal unity in international affairs on the one hand and component state autonomy in their attributed material competences on the other. This question regarding the legitimacy of treaties has received insufficient attention until now. In this book, this fundamental question and its consequent permutations and impacts are addressed from a theoretical perspective as well as from a strictly legal perspective. The more abstract theoretical analysis put forth is then applied by way of reference to the example of the sensitive subject of double tax treaties. Whilst this book does not address fiscal federalism per se, it touches upon its externalization reflected in the division of treaty making power.
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Rik Smet is a Lawyer at Tiberghien Lawyers in Brussels and a Visiting Professor of Tax Law at the University of Antwerp, Belgium.
Fachgebiete
Weitere Infos & Material
Chapter 1. Introduction (p. 1) PART I. TREATY-MAKING. Chapter 2. Treaty-Making Competence (p. 19) PART II. FRAMEWORKS. Chapter 3. Theoretical Framework: Philosophical Underpinnings between Habermas, Dworkin and Rosanvallon (p. 113) Chapter 4. The Normative, Legal Underpinnings of (Tax) Treaty-Making Competence and Power (p. 173) PART III. TAX TREATY-MAKING IN BELGIUM. Chapter 5. Belgium: The Competence and Power to Tax and their Relation to DTCs (p. 217) Chapter 6. Belgian Tax Treaty-Making Practice: The Proof of the Pudding (p. 243) Chapter 7. Conclusion (p. 275)