ADIT Syllabus (2022)

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SYLLABUS

2022
CONTENTS

INTRODUCTION............................................................................................. 3

SYLLABUS GUIDE.......................................................................................... 4

MODULE 1 - PRINCIPLES OF INTERNATIONAL TAXATION............................. 6


RECOMMENDED READING LIST............................................................ 10

MODULE 2.01 - AUSTRALIA OPTION........................................................... 13


RECOMMENDED READING LIST............................................................ 15
MODULE 2.02 - CHINA OPTION................................................................... 16
RECOMMENDED READING LIST............................................................ 17
MODULE 2.03 - CYPRUS OPTION................................................................ 18
RECOMMENDED READING LIST............................................................ 22
MODULE 2.04 - HONG KONG OPTION.......................................................... 25
RECOMMENDED READING LIST............................................................ 27
MODULE 2.05 - INDIA OPTION.................................................................... 28
RECOMMENDED READING LIST............................................................ 30
MODULE 2.06 - IRELAND OPTION............................................................... 32
RECOMMENDED READING LIST............................................................ 34
MODULE 2.07 - MALTA OPTION................................................................... 36
RECOMMENDED READING LIST............................................................ 38
MODULE 2.08 - SINGAPORE OPTION........................................................... 39
RECOMMENDED READING LIST............................................................ 41
MODULE 2.09 - UNITED KINGDOM OPTION................................................. 42
RECOMMENDED READING LIST............................................................ 44
MODULE 2.10 - UNITED STATES OPTION..................................................... 46
RECOMMENDED READING LIST............................................................ 48
MODULE 2.11 - BRAZIL OPTION.................................................................. 49
RECOMMENDED READING LIST............................................................ 51

2 ADIT
MODULE 3.01 - EU DIRECT TAX OPTION..................................................... 52
RECOMMENDED READING LIST............................................................ 54
MODULE 3.02 - EU VAT OPTION.................................................................. 56
RECOMMENDED READING LIST............................................................ 59
MODULE 3.03 - TRANSFER PRICING OPTION.............................................. 61
RECOMMENDED READING LIST............................................................ 64
MODULE 3.04 - ENERGY RESOURCES OPTION............................................ 67
RECOMMENDED READING LIST............................................................ 70
MODULE 3.05 - BANKING OPTION............................................................... 73
RECOMMENDED READING LIST............................................................ 75

EXTENDED ESSAY OPTION RULES............................................................... 79


GUIDANCE NOTES.................................................................................. 81

ADIT 3
INTRODUCTION

In order to achieve this qualification, candidates will need to possess a broad knowledge
right across the spectrum of international taxation, preferably informed by experience.

This document contains the detailed syllabus for each available module, together
with recommended reading lists. Permitted texts for each exam are indicated in the
recommended reading lists, and can be found on our website at
www.tax.org.uk/adit/permitted-books.

Questions will not be set which require knowledge of any law or regulation, or any
Statutory Instrument, EU directive or similar legal provision announced less than six
months before the date of an exam, or on any tax or legal court case reported less than
six months before the exam date. Nonetheless, all ADIT exam candidates are expected to
maintain a general understanding of recent, significant legislative changes relevant to their
exam subjects.

Each syllabus contains a list of topics included, together with an indication of the level of
knowledge that a candidate may be required to demonstrate.

4 ADIT
SYLLABUS GUIDE

Each syllabus includes guides which are intended to give candidates broad guidance on the
approximate proportion of marks available for the major areas within the syllabus for each
module.

The levels specified are:

Level 1
Candidates will be expected to have a broad understanding and awareness of the topic,
but will not be required to provide answers in detail on these topics.

Level 2
Candidates will be expected to have a detailed knowledge of the topic and be able to apply
this knowledge in both written and computational situations (where appropriate), showing
an understanding of the issues involved.

Level 3
Candidates may be required to demonstrate an advanced knowledge, involving
interpretive exposition and analysis, with the ability to comment upon problems arising
and to suggest possible solutions in novel situations.

Candidates are expected to have an awareness of current accounting issues relevant to


tax.

ADIT 5
MODULE 1 - PRINCIPLES OF
INTERNATIONAL TAXATION
I Basic principles of international tax law 20%
II Double taxation conventions (DTCs), focusing on the current version of the OECD Model Tax Convention
(MTC) 30%
III Transfer pricing and thin capitalisation rules 20%
IV International tax avoidance 25%
V Miscellaneous topics 5%

I Basic principles of international tax law

A J urisdiction to tax, including limits to tax jurisdiction arising from public international law, and cross-
border enforcement of taxes 1
B Taxes and tax systems
1. Definition and classification of taxes 1
2. Federal systems and local-level taxes 1
C State practice in exercising tax jurisdiction
1. Concepts of source and situs; use of residence, domicile and citizenship as connecting factors 2
2. State practice in determining residence of individuals and corporations 2
3. Implications of the use of citizenship as a connecting factor (especially particular issues for US
citizens) 1
4. State practice in determining the source of income and gains 2
5. Tax issues arising from a change of residence/citizenship 2
D Causes of international double taxation
1. Conflicts of residence and source 2
2. Conflicting definitions of connecting factors 2
3. Other causes of international double taxation (including particular issues for using citizenship as a
connecting factor for taxation) 1
E Methods of relief from international double taxation
1. Relief by credit – including indirect/underlying credit and tax sparing credit 3
2. Relief by exemption – including participation exemption 3
3. Practical difficulties in applying relief by credit and relief by exemption 3
4. Relief by exemption and relief by credit compared: capital import neutrality vs.capital export
neutrality 2
5. Other methods of relief from international double taxation – relief by deduction of foreign tax;
relief by deferral 2
F Private international law and tax
1. Recognition of foreign legal entities 2
2. Characterisation of entities as transparent or opaque – state practice 2
3. The issue of qualification and international tax 1
G The history of international tax law
1. Work under the League of Nations 1
2. Work of the G20 and OECD 2
3. Work of the UN Group of Experts 1
H European Union law and international tax
1. EU law and double taxation conventions 2
I Tax and international human rights instruments
1. The European Convention on Human Rights 2
2. The International Covenant on Civil and Political Rights 2
J State responsibility in international tax – the development of the concept of harmful tax competition 2

6 ADIT
II Double taxation conventions (DTCs), focusing on the current version of the OECD Model Tax Convention (MTC)

Candidates are expected to: understand the operation of the provisions of the OECD MTC; show awareness of the
major points in the Commentary to the relevant Article of the OECD MTC; and be aware of key reports of the OECD
Committee on Fiscal Affairs and major international cases on the topic.
A Types of DTCs (limited, multilateral etc.) and negotiation of DTCs 2
B DTCs and domestic law
1. Incorporation of DTCs into domestic law 3
2. Treaty override 3
C Format and structure of a DTC
1. The OECD Model Tax Convention (OECD MTC) and the Commentaries to the OECD MTC – the work of
the OECD Committee on Fiscal Affairs 3
2. The UN Model Double Taxation Convention (UN MTC) 2
3. Specific states’ models: the US MTC; the Dutch MTC 1
4. The Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS (MLI) 3
D Approach to the application of a DTC: applying a DTC to a concrete scenario 3
E Interpretation of DTCs
1. General approach to interpretation 3
2. Vienna Convention on the Law of Treaties 2
3. Use of external aids for interpretation – the status and use of the OECD Commentaries 2
4. Application of Article 3(2), OECD MTC 2
5. Resolving interpretation issues by competent authority proceedings – Article 25(3), OECD MTC 2
F Provisions relating to the scope of a DTC: Articles. 1, 2, 29, 30, 31 and 32
1. Article 1: Persons covered 3
2. Article 2: Taxes covered 3
3. Article 29: Entitlement to benefits 3
4. Articles 30, 31 and 32: Territorial extension, entry into force and termination 2
G Key definitional provisions
1. Meaning of “resident” and resolution of cases of dual residence – Article 4, OECD MTC 3
2. Permanent establishment concept: determining the existence of a permanent establishment –
Article 5, OECD MTC 3
3. BEPS Action 7: Preventing the artificial avoidance of a permanent establishment 3
H DTC provisions relating to businesses
1. Business profits (with or without a permanent establishment) – Article 7, OECD MTC 3
2. Shipping and air transport profits – Article 8, OECD MTC 3
3. Associated enterprises – Article 9, OECD MTC: status of Article 9 and link to transfer pricing
legislation 3
I DTC provisions relating to individuals
1. Employment income – Article 15, OECD MTC 2
2. Directors’ fees – Article 16, OECD MTC 3
3. Entertainers and sportspersons – Article 17, OECD MTC 3
4. Pensions – Article 18, OECD MTC 1
5. Government service – Article 19, OECD MTC 3
6. Students – Article 20, OECD MTC 3
J DTC provisions relating to investment income and gains
1. Income from land – Article 6, OECD MTC 1
2. Dividends – Article 10, OECD MTC (including some consideration of the forms of dividend article
used by key states, e.g. US, UK, France, Germany) 3
3. Interest – Article 11, OECD MTC 3
4. Royalties – Article 12, OECD MTC 3
5. Capital gains – Article 13, OECD MTC 2
K Relevance of the “other income” Article – Article 21, OECD MTC 2

ADIT 7
L Limitation of benefit provisions
1. Approaches to the misuse of DTCs 3
2. Abuse of law doctrines and DTCs 3
3. State practice with respect to limitation of benefit provisions 3
4. BEPS Action 6: treaty abuse 3
5. Articles 1 and 29: persons covered and entitlement to benefits 3
M Methods of elimination of double taxation – Articles 23A and 23B, OECD MTC 3
N The impact of the non-discrimination article – Article 24, OECD MTC 2
O The resolution of disputes under DTCs
1. Competent authority/mutual agreement procedures – Article 25, OECD MTC 2
2. Alternative means of resolving international tax disputes 2
3. BEPS Action 14: Making dispute resolution mechanisms more effective 2
4. BEPS Action 15: Developing a multilateral instrument to modify bilateral tax treaties 2
P The application of DTCs to electronic commerce
1. The work of the OECD Taxation Advisory Group 2
2. E-commerce and permanent establishments 2
Q The digital economy
1. BEPS Action 1: Tax challenges of the digital economy 3
2. VAT/GST issues 2
3. Nexus issues 2
4. Definition of permanent establishments 3
R The work of the Platform for Collaboration on Tax 2
S The work of the UN Committee of Experts on International Cooperation in Tax Matters 2

III Transfer pricing and thin capitalisation rules

A Various approaches to the determination of profits of branches and associated enterprises


1. Unitary taxation/global formulary apportionment 2
2. Arm’s length approaches 3
B State practice with respect to transfer pricing
1. Consideration of examples of domestic transfer pricing legislation (US, UK, Germany, Australia) 2
C Transfer pricing and DTCs – Article 9, OECD MTC 3
D Advanced pricing agreements 3
E The OECD Transfer Pricing Guidelines 2017
1. Background to the introduction of the 2017 guidelines 3
2. Major amendments to the 1995 guidelines 3
3. Transfer pricing methodologies 3
4. Special topics: Hard to value intangibles; low value adding intra-group services; cost contribution/
sharing agreements; revised safe harbour guidance; documentation 3
5. Resolution of transfer pricing disputes and advance pricing agreements (APAs) 3
6. Attribution of profits to permanent establishments 3
F Transfer pricing and BEPS
1. Awareness of the impact of BEPS on transfer pricing 2
2. BEPS Actions 8-10: Aligning transfer pricing outcomes with value creation 2
3. BEPS Action 13: Documentation and country-by-country reporting 2
G Transfer pricing and developing countries
1. The United Nations Practice Manual on Transfer Pricing for Developing Countries 2017 2
H State practice with respect to thin capitalisation
1. Consideration of examples of thin capitalisation legislation (US, UK, Germany) 3
I Thin capitalisation legislation and DTCs
1. BEPS Action 4: Interest Deductions 3

8 ADIT
IV International tax avoidance

A Harmful tax practices


1. Work of the OECD Forum on Harmful Tax Practices 3
2. Approaches to identification of harmful tax practices, including preferential regimes and substantial
activity requirements 3
B Domestic law approaches to international tax avoidance
1. CFC and other controlled foreign entity legislation – examples from state practice 2
2. Foreign personal holding company legislation – examples from state practice 2
3. CFC and equivalent legislation and DTCs 2
C Money-laundering legislation and international tax avoidance
1. Application of money-laundering legislation to foreign fiscal offences 1
D Co-operation between revenue authorities
1. Exchange of information – Article 26, OECD MTC 3
2. Tax information exchange agreement 3
3. Joint investigations of taxpayers 1
4. Co-operation in the enforcement of tax liabilities/assistance in the collection of taxes – Article 27,
OECD MTC 3
E Conventions for administrative assistance in tax administration
1. The OECD/Council of Europe Convention 1
2. Regional arrangements for cooperation in tax administration 1
F Base Erosion and Profit Shifting (BEPS)
1. Awareness of the scope and details of the OECD BEPS Project 3
2. Overview of all BEPS actions (1-15) 2
3. BEPS Action 2: Hybrid mismatches 3
4. BEPS Action 3: CFC rules 3
5. BEPS Action 5: Harmful tax practices 3
6. BEPS Action 11: Measuring and monitoring BEPS 3
7. BEPS Action 12: Mandatory disclosure rules 3
8. BEPS Action 15: Multilateral convention to implement tax treaty-related measures to prevent BEPS 3

V Miscellaneous topics

A Indirect taxes and international taxation


1. The origin and destination bases for indirect taxes 2
2. GATT and GATS rules and the limitation on border tax adjustment 2
3. WTO rules and taxes – the WTO dispute resolution regime and taxation 2
B Cross-border mergers
1. Examination of some of the issues and solutions 2
C Estate and gift taxation and international issues
1. The taxation issues of cross-border probate 1
2. The OECD Model Double Taxation Convention on Estates and Inheritances 1
D OECD Secretariat analysis of tax treaties and the impact of the COVID-19 crisis 3

ADIT 9
RECOMMENDED
READING LIST
Permitted Texts Essential Reading
Candidates may take a copy of the following texts only OECD. Action Plan on Base Erosion and Profit Shifting
into the examination: (Paris: OECD, 2013) [ISBN: 9789264202702]
Available from the OECD:
OECD. Base Erosion and Profit Shifting Project: 2015 www.oecd-ilibrary.org
Final Reports, Executive Summaries (Paris: OECD, 2015)
Available from the OECD: Candidates can obtain OECD documents from some
www.oecd.org/ctp/beps-reports-2015-executive- bookshops, or directly from the OECD
summaries.pdf iLibrary at www.oecd-ilibrary.org.

OECD, Committee on Fiscal Affairs. Model Tax The materials listed above are also included in the
Convention on Income and on Capital (Paris: OECD, following permitted book: Van Raad, K. Materials on
2017) [ISBN: 9789264287945] International, TP and EU Tax Law 2020-2021. Volume A
Available from the OECD:
www.oecd-ilibrary.org
Or available from Turpin Distribution: Books
ebiz.turpin-distribution.com
Unfortunately, there is no single textbook or casebook
OECD, Committee on Fiscal Affairs. Transfer Pricing for the entire syllabus. There are books which
Guidance on Financial Transactions: Inclusive cover parts of the syllabus, but these need to be
Framework on BEPS. Actions 4, 8-10 (Paris: OECD, 2020) supplemented by references to articles in periodicals
Available from the OECD: www.oecd-ilibrary.org (see below).
Or available from Turpin Distribution:
ebiz.turpin-distribution.com Most of the books below are available from
www.amazon.com. CCH publications are available to
OECD, Committee on Fiscal Affairs. Transfer Pricing order from www.cchinformation.co.uk.
Guidelines for Multinational Enterprises and
Tax Administrations (Paris: OECD, 2017) [ISBN: Books to which candidates should refer are:
9789264262737]
Available from the OECD: Arnold, B. International Tax Primer (Kluwer
www.oecd-ilibrary.org Law International, 4th edition, 2019) [ISBN:
Or available from Turpin Distribution: 9789403502823]
ebiz.turpin-distribution.com Available from Wolters Kluwer:
https://lrus.wolterskluwer.com/store
Van Raad, K. Materials on International, TP and EU Tax
Law 2020-2021. Volume A (Leiden: International Tax Baker, P. Double Taxation Conventions (London:
Centre, 2020) [ISBN: 9789082585452] Sweet & Maxwell, loose leaf 3rd edition, 2020) [ISBN:
Candidates with a pre-2016 edition may instead take 9780421673601]
Volume 1 of the earlier edition into the examination. Available from Sweet & Maxwell:
Available from the International Tax Centre at Leiden www.sweetandmaxwell.co.uk
University:
www.itc-leiden.nl or [email protected] Harris, P. International Commercial Tax (Cambridge
Or available from Wildy & Sons: www.wildy.com University Press, 2nd edition, 2020) [ISBN:
9781108477819]
No other texts may be taken into the examination. Available from Cambridge University Press:
www.cambridge.org/gb/academic

10 ADIT
Mulligan, E. and Oats, L. Principles of International Periodicals
Taxation (Bloomsbury Professional, 7th edition, 2019)
[ISBN: 9781526510396] Because international taxation is a rapidly developing
Contents catered to ADIT syllabus. subject, and because of the lack of a single textbook,
Available from Bloomsbury Professional: candidates will have to follow much of the course
www.bloomsburyprofessional.com through articles in periodicals. Several periodicals
are devoted to the subject of international taxation.
Qureshi, A. The Public International Law of Taxation Unfortunately, only a very good tax library is likely to
(Kluwer Law International, 2nd edition, 2019) [ISBN: have all these periodicals. A number of the journals are
9789041184764] available electronically from various websites.
Available from Wildy & Sons: www.wildy.com
The principal periodicals are:
Reimer, E. and Rust, A. Klaus Vogel on Double Taxation British Tax Review (London: Sweet & Maxwell) [ISSN:
Conventions (Kluwer Law International, 5th edition, 00071870]
2022) [ISBN: 9789403513003] Also known as BTR.
Available from Wolters Kluwer: Available from Sweet & Maxwell:
https://lrus.wolterskluwer.com/store www.sweetandmaxwell.co.uk

Rohatgi, R. Roy Rohatgi on International Taxation. Bulletin for International Taxation (Amsterdam: IBFD)
Volume 1 (IBFD, 2018) [ISBN: 9789087224943] [ISSN: 00074624]
Available from IBFD: www.ibfd.org Available from IBFD:
www.ibfd.org
Schwarz, J. Schwarz on Tax Treaties (Kluwer
Law International, 6th edition, 2021) [ISBN: Cahiers de Droit Fiscal International (Studies on
9789403526300] International Fiscal Law) (Deventer: Kluwer Law
Available from Wolters Kluwer: International)
https://lrus.wolterskluwer.com/store Also known as Cahiers DFI. Despite its title, most
(Discount available for registered ADIT students) reports in the Cahiers are published in English.
Available from IFA:
Schwarz, J. Booth and Schwarz: Residence, Domicile and www.ifa.nl/publications/cahiers/pages/default.aspx
UK Taxation (Bloomsbury Professional, 20th edition,
2018) [ISBN: 9781526506160] EC Tax Review (New York: Kluwer Law International)
Available from Bloomsbury Professional: [ISBN: 9789880007408]
www.bloomsburyprofessional.com Available from Kluwer Law International:
Or available from Amazon: www.amazon.com www.kluwerlawonline.com

Shome, P. et al. Reimagining International Taxation: European Taxation (Amsterdam: IBFD) [ISSN: 00143138]
Navigating Through the Crises of Pandemic, Lack of Available from IBFD: www.ibfd.org
Consensus and Retrospective Taxation (Oakbridge,
2021) [ISBN: 9788194991175] Intertax (Deventer: Kluwer Law International)
Available from M&J Services: https://mandjservice.com Available from Kluwer Law International:
www.kluwerlawonline.com

Tax Notes International (Tax Analysts) [ISSN: 10483306]


Available from LexisNexis: www.lexisnexis.co.uk
Also available from Tax Analysts: www.taxanalysts.com

ADIT 11
Case Law
The syllabus does not examine the rules of any one
state. Decisions of the courts of many
countries are therefore relevant to this subject. Leading
cases are drawn from as far afield as New Zealand,
South Africa, Canada, France and Germany.

Cases from the non-English speaking world are


generally from the Bundesfinanzhof (German Federal
Tax Court), the Conseil d’Etat (French Supreme
Administrative Court) or the Hoge Raad (Netherlands
Supreme Court). The more important cases are
summarised in European Taxation or the Bulletin for
International Taxation.

International Tax Law Reports, also known as ITLR,


contains the texts of important international tax cases
(including English translations of some cases).
Available from LexisNexis: www.lexisnexis.co.uk

These law reports are available online as part of the


LexisNexis online service. CCH’s British Tax Cases are
also useful.

The IBFD also offers a useful Tax Treaty Database.


Available at:
www.ibfd.org/IBFD-Products/Tax-Treaties-Database

12 ADIT
MODULE 2.01 -
AUSTRALIA OPTION
I Income Tax 70%
II Fringe Benefits Tax (FBT) 10%
III Goods and Services Tax (GST) 20%

I Income Tax

A Jurisdiction to tax – Australian residents


1. Concepts of residency: distinguishing between residents, temporary residents and foreign residents 3
2. Concepts of source: classes of oncome and statutory/common law source rules 3
B Concepts of income
1. Ordinary income 2
2. Statutory income 2
C Deductions
1. General deductions formula 2
2. Special deductions 2
3. Statutory allowances 2
D Taxing capital gains
1. CGT events 2
2. CGT assets 2
3. CGT exemptions 2
4. CGT concessions and rollovers 2
E Taxing residents on foreign income
1. Exemption/exemption with progression methods 3
2. Foreign tax credit (known as “foreign income tax offset”) methods 3
3. Deduction methods 1
4. Attribution of income CFC; transferor trust; FIFs 2
F Taxing foreign residents
1. Withholding taxes on certain dividends 3
2. Withholding taxes on interest 3
3. Withholding taxes on royalties 3
4. Taxes on capital gains 3
5. Other income 3
G Taxing temporary residents
1. Australian sourced income 2
H Domestic anti-avoidance measures
1. General anti-avoidance rule (GAAR) 3
2. Multinational anti-avoidance law (MAAL) 2
3. Diverted profits tax (DPT) 2
4. Thin capitalisation 2
5. Tax scheme promoters (Taxation Administration Act 1953) 3
I Double tax agreements (DTAs)
1. Taxes covered 3
2. Taxpayers covered 3
3. Time-frame covered 3
4. Allocation rules 3
5. DTA methods to avoid double taxation 3

ADIT 13
II Fringe Benefits Tax (FBT)

A General principles 3
B Exemptions 2
C Valuation of fringe benefits
1. Cars 1
2. Loans and debt waiver 1
3. Expense payment 1
4. Housing 1
5. Property 1
6. Residual 1
7. Exemptions, reductions and conessions 1
D International aspects 3

III Goods and Services Tax (GST)

A General principles 3
B Registration 2
C Grouping 2
D Non-taxable supplies 2
E GST-free supplies 2
F Input taxed supplies 2
G International aspects
1. Exports 3
2. Imports 3
3. Concept of “connected with Australia” 3

14 ADIT
RECOMMENDED
READING LIST
Permitted Texts Case Law
Candidates may take a copy of the following text only The following court decisions:
into the examination: • Associated Newspapers Ltd v Federal Commissioner
of Taxation (FCT); Sun Newspapers Ltd v FCT (1938)
Deutsch, R. et al. Australian Tax Handbook 2021 61 CLR 337
(Thomson Reuters Australia, 2021) • Blank v Commissioner of Taxation (CT) (2016) 258
[ISBN: 9780864697516] CLR 439
Available from Thomson Reuters: • Chevron Australia Holdings Pty Ltd v CT [2017
https://legal.thomsonreuters.com.au/the-australian- FCAFC 62]
tax-handbook-2021/productdetail/128887 • CT v Hart (2004) 217
• CT v McNeil (2007) 229 CLR 656
No other texts may be taken into the examination. • FCT v BHP Billiton Ltd [2020] HCA 5
• FCT v Bogiatto & Ors (No 2) [2021] FCA 98
• FCT v French (1957) 98 CLR 398
Essential Reading • FCT v Myer Emporium (1987) 163 CLR 199
• FCT v Payne (2001) 202 CLR 93
Income Tax Assessment Acts • FCT v Robert Mitchum (1965) 113 CLR 401
Available from ComLaw: www.comlaw.gov.au • FCT v Spotless Services Ltd (1996) 186 CLR 404
• FCT v Thomas [2018 HCA 31]
• London Australia Investment Co Ltd v FCT (1977)
Additional Reading 138 CLR 106
• Lunney v FCT; Hayley v FCT (1958) 100 CLR 478
Deutsch, R. et al. Principles and Practice of Double • McLaurin v FCT (1961) 104 CLR 381
Taxation Agreements (BNA International, 2008) • Peter Greensill Family Co Pty Ltd (trustee) v CT
[ISBN: 9780906524152] [2021] FCAFC 99
Available from BNA International: • Ronpibon Tin NL v FCT; Tongkah Compound NL v
www.bnai.com/shop FCT (1949) 78 CLR 47
• Uber BV v CT [2017] 1 FCA 110
Taylor, J. et al. Understanding Taxation Law 2021
(LexisNexis, 2020)
[ISBN: 9780409353532]
Available from LexisNexis: www.lexisnexis.com.au

Wolters Kluwer. Australian Master Tax Guide: Tax Year


End Edition (Wolters Kluwer, 69th edition, 2021) [ISBN:
9781922347831]
Available from Wolters Kluwer:
www.wolterskluwer.com.au

ADIT 15
MODULE 2.02 -
CHINA OPTION
I The structure of the Chinese tax system 5%
II Individual Income Tax (IIT) 15%
III Enterprise Income Tax (EIT) 80%

I The structure of the Chinese tax system

A Sources of tax law 1


B Structure of tax administration 1

II Individual Income Tax (IIT)

A Jurisdiction to tax 2
B Schedular system 2
C Wages and salaries 2
D Business income 2
E Services 2
F Income from property and investment 2
G Capital gains 2
H The effects of tax treaties 3
I Tax administration 1

III Enterprise Income Tax (EIT)

A Legislative framework 1
B Jurisdiction to tax 1
C Inbound rules: Foreign investment enterprises
1. Residence 2
2. Taxable income 2
3. Tax rates 2
4. Tax incentives 2
5. Reorganisations 3
6. Thin capitalisation rule 3
D Inbound rules: foreign corporations operating in China
1. “Establishment”, “place of business” and “agent” 3
2. Effectively connected income 3
3. Treaty considerations 3
E Inbound withholding taxes on investment income
1. Chinese source of income 2
2. Dividends 2
3. Interest 2
4. Rents and royalties 2
5. Capital gains 2
6. Treaty consideration 3
F Outbound rules
1. Foreign tax credit 3
2. Controlled Foreign Corporations (CFCs) 3
G Transfer pricing 3
H General anti-abuse rule (GAAR) 3

16 ADIT
RECOMMENDED
READING LIST
Permitted Texts Li, J. and Huang, H. “Transformation of the Enterprise
Income Tax in China: Internationalization and Chinese
Candidates may take a copy of the following texts only Innovations” (2008)
into the examination: Available from Social Science Research Network:
http://papers.ssrn.com/sol3/papers.cfm?abstract_
King & Wood Mallesons. China Master Tax Guide 2021 id=1313727
(Wolters Kluwer, 2021) [ISBN: 9789887935759]
Available from Professional Bookshop: State Administration of Taxation. SAT Bulletin (Gonggao)
www.pbookshop.com [2016] No. 64: Bulletin on Issues Related to Improving
the Administration of Advance Pricing Agreements (SAT,
Zhang, X. The Law and Practice of International Tax 2016)
Treaties in China (Wildy, Simmonds and Hill Publishing, Available from State Administration of Taxation:
2003) [ISBN: 9781898029625] www.chinatax.gov.cn/2013/n2925
Available from Amazon: www.amazon.com
State Administration of Taxation. Circular (Guoshuifa) of
No other texts may be taken into the examination. the State Administration of Taxation on the Issue of the
Implementation Measures of Special Tax Adjustments
(Provisional) (SAT, 2009, No. 2)
Essential Reading Available from KPMG:
www.kpmg.com/CN/en/services/Tax/Global-Transfer-
Cao, F. Corporate Income Tax Law and Practice in the Pricing-Services/Documents/Circular-20090108-0002-
People’s Republic of China (Oxford University Press, 1e.pdf
2011) [ISBN: 9780195393392]
Available from Amazon: www.amazon.com United Nations. UN Practical Manual on Transfer Pricing
for Developing Countries (2021) (New York: UN, 2021)
Li, J. International Taxation in China: A Contextualized Available from the United Nations: www.un.org
Analysis (IBFD, 2016) [ISBN: 9789087223809]
Available from IBFD: www.ibfd.org 2011 UK/China Double Taxation Convention, together
with 2013 Protocol
Li, J. “Fundamental Enterprise Income Tax Reform in
China: Motivations and Major Changes” (2007)
Available from Social Science Research Network:
http://papers.ssrn.com/sol3/papers.cfm?abstract_
id=1030656

Li, J. “Tax Transplants and Local Culture: A Comparative


Study of the Chinese and Canadian GAAR” (2010)
Available from Social Science Research Network:
http://papers.ssrn.com/sol3/papers.cfm?abstract_
id=1645336

Li, J. “The Great Fiscal Wall of China: Tax Treaties and


Their Role in Defining and Defending China’s Tax Base”
(2012)
Available from Social Science Research Network:
http://papers.ssrn.com/sol3/papers.cfm?abstract_
id=2159405

ADIT 17
MODULE 2.03 -
CYPRUS OPTION
I Income Tax
A Basic concepts 5%
B Sources of income 10%
C Deductions, exemptions and personal allowances 10%
D Special modes of taxation 5%
E Reorganisations 5%
F Base Erosion and Profit Shifting (BEPS) 5%
G Double taxation relief and the Cyprus double tax treaty network 25%
II Special Defence Contribution (SDC) 5%
III Capital Gains Tax 8%
IV General Healthcare System
V Collection and assessment of tax
VI Trusts 10%
VII Land Transfer Fees
VIII Stamp Duty
IX Value Added Tax (VAT) 10%
X Organisation of the Tax Department 2%

I Income tax

A Basic concepts
1. Meaning of residence for individuals and relevance of the term 3
2. Meaning of residence for legal entities and relevance of the term 3
3. Explanation of transparency of partnerships 1
4. Meaning of tax year 2
5. Explanation of the implications of statute law, case law and tax circulars 1
6. Meaning of arm’s length transactions and implications of Article 33 2
B Sources of income
1. Explanation of income of residents vs. non-residents 2
2. Income from business including from isolated transactions (badges of trade) 3
3. Income from employment including benefits in kind and 90-day rule 2
4. Income from dividends 2
5. Income from interest, including explanation of interest income treated as business income 2
6. Income from pensions and annuities 2
7. Income from immovable property, including value of owner’s benefit 2
8. Income from intellectual property 3
9. Income from trading goodwill 2
10. Income from benefit on debit balances 3
C Deductions, exemptions and personal allowances
1. The concept of chargeable income 3

18 ADIT
2. Deductible and non-deductible expenditure 3
3. Exemptions available including overseas permanent establishments 2
4. Deemed interest expense on ‘fresh capital’ injection from 1 January 2015 3
5. Tax treatment of losses 3
6. Capital allowances 3
7. Personal allowances 3
8. Social insurance and social cohesion fund contributions 2
D Special modes of taxation
1. Shipping and aircraft businesses 1
2. Insurance companies 1
3. Royalties 2
4. Film rentals 2
5. Income of professionals, artists and other public entertainers 2
6. Income of companies providing services to the upstream energy sector 2
E Debt restructuring
1. Definition of restructuring, lender, restructuring price 2
2. Exemption from taxation of amounts written off restructured loans 2
3. Provisions to which exemptions do not apply 2
F Reorganisations
1. Types of reorganisations 1
2. Tax implications of reorganisation schemes 1
3. Exemptions do not apply in cases of artificial arrangements for the purposes of avoidance or
deferral of taxes 2
G Base Erosion and Profit Shifting (BEPS)
1. Understanding of the concept of BEPS, and BEPS as a tax avoidance issue 1
2. BEPS by trading, royalty and financing companies 2
3. Provisions in Cyprus legislation to combat BEPS 3
4. Double taxation avoidance where related companies are caught in BEPS, the European code of
conduct (EC2006/C176/02) and the relevant provisions of Article 9, OECD MTC 1
H Anti Tax Avoidance Directive (ATAD)
1. Interest limitation rule 2
2. Controlled foreign company (CFC) rule 2
3. General anti-abuse rule (GAAR) 2
I Double taxation relief and the Cyprus double tax treaty network
1. Double tax treaty relief 3
2. Unilateral relief and relief for underlying tax 3
3. Outline of the OECD MTC 3
4. Cyprus’s double taxation treaty network, including knowledge of the most popular treaties for
inward and outward investment 3
5. Restriction of Foreign Dividend income exemption if it erodes the taxable base of the remitter
company 2
6. Restriction of unilateral double taxation relief on foreign dividends received in cases of artificial
arrangements for the purposes of avoidance or deferral of taxes 2
7. Multilateral automatic exchange of information – application of the OECD Common Reporting
Standard (CRS) 1

II Special Defence Contribution (SDC)

A Application of SDC
1. Residents and domiciled vs. non-domiciled residents and non-residents (including when the
beneficial owner of a structure is non-domiciled or non-resident) 1

ADIT 19
B Taxation of dividends
1. SDC on dividends and deemed dividend distribution rules 1
2. Exemption of SDC on dividends between resident companies and the four year exception rule 1
3. Clawback of deemed distribution exemption on reorganisation, on the future disposal of previously
exempt asset transfer 2
4. Definition of restructuring, lender, restructuring price 1
5. Exemption from deemed distribution of amounts written off restructured loans 2
6. Provisions whereby exemption from deemed distribution of amounts written off from restructured
loans does not apply, and general anti-avoidance provisions 2
C Taxation of interests
1. SDC on interest including explanation of application when interest is considered business income 1
2. Application of the reduced rate 1
D Taxation of rental income
1. SDC on rental income 1

III Capital Gains Tax

A Chargeable gain 1
B Rollover relief 1
C Application to sale of shares 1
D Exemptions and losses 1
E Exemption from scope of tax of disposals of taxable property acquired up to 31 December 2016 1
F Definitions of restructuring, lender, restructuring price 2
G Capital Gains Tax exemption for amounts written off from restructured loans 2
H Provisions under which exemptions do not apply 2
I Tax is the obligation of the borrower, but the lender has the obligation to withhold in cases where
exemptions do not apply 2
J Definitions of sale and leaseback, finance lease, simple finance lease, lessor, leasehold premium,
lessee, connected person and company 2
K Transfer of leasehold premiums between connected parties; tax obligation on the lessee, the lessor has
the obligation to withhold the tax 2

IV General Healthcare System

A Contribution base 2
B Contribution rates per type of income 2
C Administration 2

V Collection and assessment of tax

A Method and dates of payment of tax, including temporary taxation provisions 2


B Penalties for late or non-payment 2
C Powers of the Commissioner 1
D Definitions for debt restructuring, lender, restructuring price 1
E Memo on immovable property transferred to the lender when the property is transferred under a debt
restructuring scheme 1
F Commissioner discretion to transfer the memo to another property, to negotiate a settlement to free it
from the memo or to grant relief for insolvent individuals of illiquid companies 1
G Objections, assessments and appeals 1

20 ADIT
VI Trusts

A The Cyprus International Trust vs. the Cyprus Trust 3


B Administration of a trust for tax purposes 3

VII Land Transfer Fees

A Rates of fees 1
B Definitions for restructuring, lender, restructuring price 1
C Anti-avoidance; false declaration of the restructuring price 1

VIII Stamp Duty

A Basic rules regarding instruments liable to duty 1


B Definitions for restructuring, lender, restructuring price 1
C Stamp duty exemption for documents within a debt restructuring scheme 1
D General anti-avoidance provision regarding artificial arrangements for tax avoidance 1

IX Value Added Tax (VAT)

A Meaning of taxable person and taxable supply 2


B Place of supply rules for goods and services, including triangulation and reverse charge principle 2
C The application of VAT to cross-border acquisitions and supplies 2
D The application of VAT to imports and exports 2
E VAT mixed transactions 2
F Optional cash accounting scheme 2
G Application of harmonised time limits for issuing invoices for intra-Community trade 2
H Electronic invoices: content, storage, transmission, integrity and authenticity 2
I Tax point changes for lawyers’ services and services in the building industry 2
J Definitions for debt restructuring, lender, restructuring price 1
K Memo on immovable property transferred to the lender when the property is transferred under a debt
restructuring scheme 1
L Commissioner discretion to transfer the memo to another property, to negotiate a settlement to free it
from the memo or to grant relief for insolvent individuals of illiquid companies 1

X Organisation of the Tax Department

A Organisation of the Tax Department 3

ADIT 21
RECOMMENDED
READING LIST
Permitted Texts Neofytou, N. Cyprus in International Tax Planning
(Redimus Services Ltd, 2014) [ISBN: 9789963203109]
Candidates may take a copy of the following texts only
into the examination: OECD, Committee on Fiscal Affairs. Transfer Pricing
Guidelines for Multinational Enterprises and Tax
OECD, Committee on Fiscal Affairs. Model Tax Administrations (Paris: OECD, 2017)
Convention on Income and on Capital (Paris: OECD, [ISBN: 9789264262737]
2017) [ISBN: 9789264287945] Available from the OECD:
Available from the OECD online bookshop: www.oecd-ilibrary.org
www.oecdbookshop.org Or available from Turpin Distribution:
Or available from Turpin Distribution: ebiz.turpin-distribution.com
ebiz.turpin-distribution.com
Savvides, S. Cyprus Tax Laws loose-leaf books in Greek
Van Raad, K. Materials on International, TP and EU Tax (CTR Publications) [ISBN: 99635950104]
Law 2020-2021. Volume A (Leiden: International Tax Available from CTR Publications:
Centre, 2020) [ISBN: 9789082585452] www.ctrpublications.com
Candidates with a pre-2016 edition may instead take
Volume 1 of the earlier edition into the examination. Terra, B. and Kajus, J. A Guide to the European
Available from the International Tax Centre at Leiden VAT Directives 2021. Volume 1 (IBFD, 2021) [ISBN:
University: 9789087226800]
www.itc-leiden.nl or [email protected] Available from IBFD: www.ibfd.org
Or available from Wildy & Sons: www.wildy.com

No other texts may be taken into the examination. Case Law


Particular attention should be given to the following
Publications court decisions:
• Canada: Prévost Car Inc vs. The Queen, 2008 D.T.C.
CTR. A Practical Application of Income Tax in Businesses 3080, on the definition of the term ‘beneficial
(CTR Publications) ownership’ in the context of a double tax treaty
This manual covers all tax legislation in Cyprus in detail,
giving an article-by-article explanation of the law, and • CY: Hagop Matossian, Case 1102 [14.9.1992], on
including important court decisions and tax circulars. tax of notional profit, enforcing the principle laid
Loose leaf binder with subscription required for down in the UK case of Sharkey vs. Wernher [1956]
updates. Available only in Greek. • CY: Faunus Investment Company Ltd, Case 423/85
Available from CTR Publications: [30.12.1986], on rule that double tax treaty
www.ctrpublications.com provisions override local tax law provision
• CY: Serafino Shoe Industry and Trading Limited,
CTR. A Practical Application of VAT in Businesses (CTR Case 757 [16.05.1991], on rules on interpreting
Publications) provisions of tax law
This manual covers all VAT legislation in Cyprus in detail, • CY: Canon Assurance Limited, Case 1203,
giving an article-by-article explanation of the law, and [26.01.1996], on existence of permanent
including important court decisions and tax circulars. establishment
Loose leaf binder with subscription required for
• ECJ: Marks and Spencer plc vs. David Halsey
updates. Available only in Greek.
(Her Majety’s Inspector of Taxes), Case C-446/03
Available from CTR Publications:
[13.12.2005], on use of losses from foreign
www.ctrpublications.com
subsidiary as group relief

22 ADIT
• UK: Wood vs. Holden [26.01.2006], on place of On exchange differences:
management and control
• Circular 1990/23 – Tax treatment of exchange
differences
The following court decisions are also of interest:
• Circular 2008/4 – Tax treatment of exchange
• CY: Limassol Land Investments Ltd [1957], on differences arising directly or indirectly from the
badges of trade sale and purchase of shares
• CY: Rallis Makrides [Ράλλης Μακρίδης] [18.2.1967],
on badges of trade On the income/profit tax exemption on sale of titles:
• CY: Amani Enterprises (Houses) Ltd, Case 438 • Circular 2008/13 – List of investment products that
[27.3.1990], on badges of trade constitute ‘titles’
• CY: Lavar Shipping Co. Ltd, Case 1109 [15.7.1994], • Circular 2009/6 – Amendment to circular 2008/13
on general principle regarding deduction of losses
• CY: Ktimatiki Etaireia A X”Savva Ltd [Κτηματική On the deductibility of interest expense:
Εταιρεία Α. Χ”Σάββα Λτδ], Case 2090, [18.12.1997],
on badges of trade • Circular 2010/8 – Interest that is not deductible for
the purposes of calculating taxable income (Article
• CY: Theodosis Karaolis Holdings Ltd and A
11 of the Income Tax Law)
Kapetanios Holdings Ltd, Case 138/05 [11.02.2009],
on computation of taxable gain for capital gains tax
purposes when selling shares in a company that On deduction of losses and distribution of expenses at
owns immovable property in Cyprus arriving at taxable income:
• Circular 2008/14 – Deduction of losses and
International court cases can be found through a simple distribution of expenses and deductions for the
internet search. purposes of determining taxable income
Cyprus court cases are available free of charge from the
Cyprus Bar Association’s website: On when interest income constitutes business income:
www.cylaw.com
• Circular 2003/8 – Article 8(19) of the Income Tax
Law and Article 3(2)(b)(i) of the special contribution
for the defence of the Republic Law
Tax Laws and Treaties
Particular attention should be given to the following: On debt restructuring:
• 1998 Cyprus/Russia Double Taxation Convention, • Circular 2016/2 – Debt restructuring
together with 2010 Protocol
• The Income Tax Law, Law 118(I)/2002 On BEPS:
• Double taxation relief for related companies, Law
Both items are available from the Ministry of Finance 11(III)/2006 (90/436/EEC)
website: www.mof.gov.cy • Circular 2007/5 – Acknowledgement of Law
11(III)/2006 and application of EU code 2006/
C176/02
Other Tax and VAT Laws and Circulars • Letter of Director of Taxes dated 4 July 2011 to

Particular attention should be given to the following ICPAC on acceptable profit margins (within the
circulars issued by the Department of Inland Revenue of frame of s.33 of Law 118(I)/2002 on triangular loan
Cyprus: relationships between connected companies)

ADIT 23
• ACTL Ministerial Order 161/2016 dated 20 May • Interpretative Circular 86 – Place of supply of
2016 on Multilateral Automatic Exchange of services – changes after 1 May 2004
Information (Adoption of the OECD Common • Interpretative Circular 139 – Change in the place of
Reporting Standard) supply rules for services as of 1 January 2010
• Interpretative Circular 145 – Change in the place
On double tax relief: of supply rules for certain services as of 1 January
• Circular 2011/14 – Providing tax relief with regards 2011
to overseas tax that was paid on income arising
outside of the Republic and which is taxable in the The following VAT circulars are also of interest:
Republic (Articles 35 and 36 of the Income Tax Law)
• Interpretative Circular 101 – Sale of buildings with
the land
On double tax treaties:
• Interpretative Circular 105 – Barter transactions in
• Circular 2012/11 – Protocol that amends the the construction industry
Double Tax Treaty between Cyprus and Russia • Interpretative Circular 127 – Deduction of input
VAT when applying the reverse charge
On benefits in kind: • Interpretative Circular 166 – Obligation to register
• EE37 Income Tax, 15 April 2019 under Article 11B

On non-returnable capital contributions: VAT circulars exist only in Greek and are available from
the Ministry of Finance website:
• EE25 Income Tax, 3 September 2018 www.mof.gov.cy/mof/vat/vat.nsf/All/EB4F13A5B66030
53C225723C002A8DDF?OpenDocument
On back-to-back financing arrangements:
• EE03 Income Tax, 30 June 2017
European Union Directives
On the Notional Interest Deduction (NID): The following EU Directives are of interest:
• Circular 2016/10 – Interpretation and Tax Practice • Council Directive 2003/49/EC of 3 June 2003 on a
for New Article 9B of the Income Tax Law 116 (I) / common system of taxation applicable to interest
2015 for Notional Interest Deduction (NID) on new and royalty payments made between associated
capital injected into the enterprise companies of different Member States [Interest
and Royalties Payments Directive]
On non-domiciles: • Council Directive 2003/123/EC of 22 December
• Circular 2017/03 – Exemption from special 2003 on the common system of taxation applicable
contribution to the defense of the Republic for in the case of parent companies and subsidiaries
non-residents in Cyprus of different Member States [Parents – Subsidiary
Directive]
Tax circulars are available only in Greek, and are • Council Directive 2005/19/EC of 17 February 2005
available from the Ministry of Finance website: on the common system of taxation applicable
www.mof.gov.cy/mof/ird/ird.nsf/dmlcirculars_gr/ to mergers, divisions, transfers of assets and
dmlcirculars_gr?OpenDocument exchanges of shares concerning companies of
different Member States [Mergers Directive]
Particular attention should be given to the following
VAT circulars, issued by the authorities:

24 ADIT
MODULE 2.04 -
HONG KONG OPTION
I Income Tax
A Taxation of individuals 25%
B Taxation of corporate business 35%
C Tax administration 10%
D Tax planning and tax audit 10%
E Transfer Pricing, Double Taxation relief and Hong Kong Double Taxation Treaty Network 10%
II Stamp Duty 10%

I Income Tax

A Taxation of individuals
1. Salaries tax on income from employment 3
2. Profits tax on income from self-employment 2
3. Property tax on income from property 1
4. Personal assessment 1
Within each of the above headings:
i. Scope of charge: meaning of source of income and residence issues 3
ii. Deduction, relief, and allowances 2
iii. Calculation of tax liability 1
B Taxation of corporate business
1. Profits tax on income of Hong Kong companies trading in Hong Kong, mainland China and overseas 3
2. Profits tax on income of non-Hong Kong resident companies trading in Hong Kong 2
3. Special categories of taxpayer
i. Insurance corporations 2
ii. Financial institutions 2
iii. Shipping and airline companies 2
iv. Clubs and associations 2
Within each of the above headings:
i. Scope of charge: meaning of source of income and residence issues 3
ii. Deduction, relief, allowances 2
iii. Calculation of tax liability 1
C Tax administration
1. Assessment procedures and tax compliance 1
2. Objections and appeals 2
3. Penalties 2
D Tax planning, and tax audit
1. Tax deferral and mitigation – principles and strategies 3
2. Anti-tax avoidance rules – specific rules, general rules and transfer pricing rules 3
3. Advance ruling 1
4. Tax investigation – process, methods of quantification of under-statement, offences and penalties 2
E Transfer pricing, double taxation relief and the Hong Kong double tax treaty network
1. The basis of double taxation relief: unilateral and bilateral 2
2. The rules for determining double taxation relief: tax deduction, tax exemption, tax credit, etc. 1
3. The Hong Kong treaty network 1
4. Principle and operation of transfer pricing 2
5. Transfer pricing methodologies and documentation, including advance pricing agreements (APAs) 1

ADIT 25
II Stamp Duty

A Scope of charge 2
B Voluntary disposition 2
C Relief and exemption 2
D Calculation of Stamp Duty 1
E Stamp Duty planning 1

26 ADIT
RECOMMENDED
READING LIST
Permitted Texts Additional Reading
Candidates may take a copy of the following texts only Chang, J. et al. Butterworths Hong Kong Stamp Duty
into the examination: Handbook (London: LexisNexis, 2nd edition, 2020)
[ISBN: 9789888683192]
CCH. Hong Kong Master Tax Guide 2019-2020 (CCH Available from LexisNexis: www.lexisnexis.com.hk
Hong Kong Ltd, 2019) [ISBN: 9789887935667]
Available from CCH: www.cch.com.hk Chow, W., Halkyard, A. and VanderWolk, J. Hong Kong
Or available from Professional Bookshop: Tax Law: Cases and Materials (LexisNexis, 6th edition,
www.pbookshop.com 2013) [ISBN: 9789888231416]
Available from LexisNexis: www.lexisnexis.com.hk
CCH. Hong Kong Revenue Legislation (CCH Hong Kong
Ltd, 1989-) [ISBN: 9781862644175] Halkyard, A. and Willoughby, P. Encyclopaedia of Hong
Available from CCH: www.cch.com.hk Kong Taxation (LexisNexis, three-volume looseleaf
edition, 2011) [ISBN: 9780409996340]
No other texts may be taken into the examination. Available from LexisNexis: www.lexisnexis.com.hk

Textbooks for Hong Kong Tax Online Resources

Ho, P. Hong Kong Taxation and Tax Planning (Pilot Bilingual Laws Information System (for Inland Revenue
Publishing Company Ltd, 20th edition, 2021) [ISBN: Ordinance): www.legislation.gov.hk
9789888652389]
Available from Bloomsbury Books: Hong Kong Board of Review (for Board of Review’s
www.bloomsbury.com.hk decisions): www.info.gov.hk/bor
Or available from Professional Bookshop:
www.pbookshop.com Hong Kong Inland Revenue Department:
www.info.gov.hk/ird
Lee, D. Advanced Taxation in Hong Kong (Pearson
Education Asia Ltd, 18th edition, 2016) [ISBN:
9789882384095]
Available from Bloomsbury Books:
www.bloomsbury.com.hk
Or available from Professional Bookshop:
www.pbookshop.com

MacPherson Lau, A. and Pearce, J. Hong Kong Taxation:


Law and Practice 2018-2019 (Chinese University Press,
2019) [ISBN: 9789882371071]
Available from Professional Bookshop:
www.pbookshop.com

Wong, J. and Wong, P. Taxation in Hong Kong: a


Practical Guide 2021-2022 (Wolters Kluwer (HK), 2021)
[ISBN: 9789887935612]
Available from Professional Bookshop:
www.pbookshop.com

ADIT 27
MODULE 2.05 -
INDIA OPTION
I Tax jurisdiction (including territoriality) 10%
II Taxation of individuals 15%
III Taxation of companies 20%
IV Tax planning 20%
V Use of tax treaties 10%
VI Tax procedures 10%
VII Withholding taxes 10%
VIII Tax administration 5%

I Tax jurisdiction (including territoriality)

A Charge to tax, including deemed income under Section 9 3


B Residence, ordinary residence and non-residence 3

II Taxation of individuals

A Employment income 3
B Reliefs 1
C Investment income 2
D Capital gains 3

III Taxation of companies

A Business profits 3
B Capital gains 3
C Withholding taxes 3
D Computations 3
E Transfer pricing 2
F Funding costs 3
G Dividends and income from other sources 3
H Equalisation Levy 3

IV Tax planning

A Judicial anti-avoidance doctrine 3


B General anti-abuse rule (GAAR) 2
C Vodafone changes 3
D Specific anti-avoidance legislation 1
E Implications of the OECD BEPS Project for the Indian taxation of cross-border activities 2
F India’s positions under the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent
BEPS (MLI) 2
G Residence of partnerships 2
H Availability of treaty benefits 2

28 ADIT
V Use of tax treaties

A Knowledge of most popular treaty locations for inward and outward investment 2
B Use of treaty residence certificates 2
C Interaction with GAAR 2
D The courts’ approach to treaties 3
E India’s Tax Information Exchange Agreement (TIEA) network 1

VI Tax procedures

A Advance rulings 3
B Transfer pricing 2
C Advance pricing agreements 2
D Section 195 procedures 3

VII Withholding taxes

A What does withholding apply to? 2


B Payment machinery 1
C Withholding tax rates 2

VIII Tax administration

A Assessment and compliance 2


B Appellate procedure 2
C Other judicial remedies 2
D The Taxpayers’ Charter and faceless assessment 2
E Interest and penalties 1
F Collection and enforcement 1

ADIT 29
RECOMMENDED
READING LIST
Permitted Texts Books
Candidates may take a copy of the following texts only Butani, M. Transfer Pricing: the Indian Landscape
into the examination: (LexisNexis, 3rd edition, 2021) [ISBN: 9788195294534]
Available from LexisNexis: www.lexisnexis.in
Income Tax Act 1961 (Taxmann, 66th edition, 2021)
[ISBN: 9789390831104] Chaturvedi, K. and Pithisaria, M. Chaturvedi and
Available from Taxmann: www.taxmann.com/bookstore Pithisaria’s Income Tax Law (LexisNexis, 7th edition,
2020) [ISBN: 9789389991376]
UK/India Double Taxation Treaty Available from LexisNexis: www.lexisnexis.in
Available from the Income Tax Department:
www.incometaxindia.gov.in/Pages/international- Datar, A. Kanga and Palkhivala’s The Law and Practice
taxation/dtaa.aspx of Income Tax (LexisNexis, 11th edition, 2020) [ISBN:
9789389991178]
Taxmann. Direct Taxes Manual (Taxmann, three-volume Available from LexisNexis: www.lexisnexis.in
edition, 51st edition, 2021) [ISBN: 9789390831180]
Available from Taxmann: www.taxmann.com/bookstore Mittal, D. Indian Double Taxation Agreements and Tax
Laws (Taxmann, three-volume edition with free CD, 7th
No other texts may be taken into the examination. edition, 2014) [ISBN: 9789350715321]
Available from Taxmann: www.taxmann.com/bookstore

Tax Legislation Mittal, D. Law and Practice Relating to General Anti


Avoidance Rules (GAAR) (Taxmann, 2012) [ISBN:
Draft Report on Retrospective Amendments Relating to 9789350710685]
Indirect Transfer (New Delhi: Ministry of Finance Expert Available from Taxmann: www.taxmann.com/bookstore
Committee, 2012)
Available from the Ministry of Finance: Shome, P. Taxation Principles and Applications: a
www.finmin.nic.in Compendium (LexisNexis, 2014) [ISBN: 9789351431244]
Available from LexisNexis:
Final Report on General Anti Avoidance Rules (GAAR) in www.lexisnexis.in/taxation-principles-and-applications-
Income Tax Act 1961 (New Delhi: Ministry of Finance a-compendium.htm
Expert Committee, 2012)
Available from the Ministry of Finance: Taxmann. Equalisation Levy Commodities Transaction
www.finmin.nic.in Tax & Securities Transaction Tax with Rules: as
Amended by Finance Act 2021 (Taxmann, 2021) [ISBN:
Reports of the Tax Administration Reform Commission 9789390831616]
(New Delhi: Tax Administration Reform Commission, Available from Taxmann: www.taxmann.com/bookstore
2014-2015)
Available from the Ministry of Finance: Taxmann. International Taxation Digest (Taxmann,
www.finmin.nic.in 2019) [ISBN: 9789388750677]
Available from Taxmann: www.taxmann.com/bookstore

Taxmann. Transfer Pricing Digest (Taxmann, 2019)


[ISBN: 9789388750660]
Available from Taxmann: www.taxmann.com/bookstore

30 ADIT
Additional Reading
Shome, P. “Addressing tax avoidance: cross-country
experience and an Indian case study” (February 2019)
Available from SSRN:
https://papers.ssrn.com/sol3/papers.cfm?abstract_
id=3337909

Online Resources
Income Tax Department of India:
www.incometaxindia.gov.in

ITAT Online (for cases): www.itatonline.org

Ministry of Finance: www.finmin.nic.in

OECD (for BEPS): www.oecd.org/ctp/beps.htm

Taxmann: www.taxmann.com

Taxsutra: www.taxsutra.com (20% discount available for


registered ADIT students)

Taxsutra Transfer Pricing portal:


www.tp.taxsutra.com (20% discount available for
registered ADIT students)

ADIT 31
MODULE 2.06 -
IRELAND OPTION
I Income Tax, Universal Social Charge (USC), Corporation Tax and Capital Gains Tax (CGT)
A Basic jurisdictional rules 15%
B The application of taxes on income and capital gains to cross-border situations 20%
C Double taxation relief 20%
D The Irish double tax treaty network 10%
E Transfer pricing 10%
F Anti-avoidance
II Capital Acquisitions Tax (CAT)
III Stamp Duty 5%
IV Pay-Related Social Insurance (PRSI)
V Value Added Tax (VAT) and customs 15%
VI The impact of EU law 5%

I Income Tax, Universal Social Charge (USC), Corporation Tax and Capital Gains Tax (CGT)

A Basic jurisdictional rules


1. Jurisdictional rules applying to the various categories of income and to capital gains tax 3
2. Meaning of residence and ordinary residence for individuals, corporations, and other bodies 3
3. Determination of Irish source or situs for various categories of income and property: trading in
Ireland; Irish permanent establishment 3
4. The imposition of tax on non-resident persons: Irish tax representatives of non-resident persons;
withholding at source; domicile levy 2
5. Domicile 3
6. Remittance basis 3
7. Administrative and compliance requirements 1
B The application of taxes on income and capital gains to cross-border situations
1. The taxation of foreign income and gains of Irish resident individuals and corporations 3
2. The determination and taxation of Irish source income of non-resident corporations 3
3. Entity characterisation: the characterisation of foreign entities for various purposes 3
4. Cross-border payments of dividends, interest, and royalties out of Ireland 3
5. Cross-border payments of dividends, interest and royalties into Ireland 3
6. Restriction of relief for interest paid (the distribution provisions) 3
7. Taxation of foreign exchange transactions for trading and non-trading companies and individuals 2
8. Cross-border re-organisations 3
9. Tax consequences of change of individual and corporate residence (outward and inward) 3
10. Tax issues of employees: stock options, PRSI, tax equalisation arrangements, special assignee relief,
foreign earnings deduction 2
11. Irish partnerships trading abroad; non-resident partners in Irish partnerships 1
C Double tax relief
1. The basis for double tax relief: unilateral and treaty relief 3
2. The rules for determining double tax relief: the credit code and other provisions 3
3. Practical administration of double taxation conventions (DTCs) and foreign tax credit relief 2

32 ADIT
D The Irish double tax treaty network
1. The legal basis for negotiating and implementing DTCs in Ireland 2
2. The approach to interpreting DTCs in Ireland 3
3. An overview of the Irish treaty network (candidates are not expected to know the details of the
entire network, but are expected to know where Irish treaty practice departs regularly from the
OECD Model. Some understanding of the major Irish treaties, with the US, UK and Netherlands in
particular, is expected) 2
E Transfer pricing
1. Transfer pricing in Irish law 3
F Anti-avoidance
1. Transfers of assets abroad 2
2. Offshore funds 2
3. Capital Gains Tax 3
4. Arbitrage – Section 247 and related anti-avoidance provisions 2
5. General anti-avoidance provision (Section 811) 2
6. The implications of the OECD BEPS Project on Irish investment, both inbound and outbound 2
G Non-Irish trusts
1. The rules relating to non-Irish resident trusts, their settlors and beneficiaries 1

II Capital Acquisitions Tax (CAT)

A Basic jurisdictional rules


1. Domiciled individuals, non-domiciled individuals, deemed domicile 2
2. Situs of assets 2
B Double taxation and unilateral relief 1

III Stamp Duty

A Basic jurisdictional rules 1

IV Pay-Related Social Insurance (PRSI)

A Application of PRSI rules in cross-border situations 2


B Ireland’s network of social security agreements 1

V Value Added Tax (VAT) and customs

A The application of VAT to cross-border acquisitions, importations and supplies 2


B The application of VAT to non-Irish resident entities 2
C The post-Brexit settlement from an ROI perspective 3

VI The impact of EU law

A The implementation of the Directives relating to direct taxation: Parent-Subsidiary Directive, Mergers
Directives, Interest and Royalties Directive, Savings Income Directive 2
B The impact on Irish tax law of the jurisprudence of the CJEU 3

ADIT 33
RECOMMENDED
READING LIST
Permitted Texts Byrne, K. et al. Taxing Financial Transactions, Finance
Act 2010 (Irish Tax Institute, 3rd edition, 2012) [ISBN:
Candidates may take a copy of the following texts only 9781842601471]
into the examination: Available from Irish Tax Institute via TaxFind:
www.taxinstitute.ie/TaxFind/Taxfind.aspx
Fennell, D. Direct Tax Acts, Finance Act 2020 (Irish Tax
Institute, 2021) [ISBN: 9781842605844] Conroy, S. Cross-border Compliance Masterclass: Ireland
Available from Irish Tax Institute: www.taxinstitute.ie and UK 2016 (Irish Tax Institute, 2016)
Available from Irish Tax Institute via TaxFind:
Keogan, A. and Scully, E. Law of Capital Acquisitions Tax, www.taxinstitute.ie/TaxFind/Taxfind.aspx
Stamp Duty and Local Property Tax, Finance Act 2020
(Irish Tax Institute, 2021) [ISBN: 9781842605868] Doherty, B. Corporate Transactions: Tax and Legal
Available from Irish Tax Institute: www.taxinstitute.ie Issues, Finance Act 2014 (Irish Tax Institute, 2015)
Available from Irish Tax Institute via TaxFind:
Reade, M. Law of VAT, Finance Act 2020 (Irish Tax www.taxinstitute.ie/TaxFind/Taxfind.aspx
Institute, 2021) [ISBN: 9781842605851]]
Available from Irish Tax Institute: www.taxinstitute.ie Haccius, C. Ireland in International Tax Planning (2nd
edition, 2004) [ISBN: 9789076078748]
Van Raad, K. Materials on International, TP and EU Available from IBFD:
Tax Law 2020-2021. Volumes A, C1 and C2 (Leiden: www.ibfd.org
International Tax Centre, 2020)
Candidates with a pre-2016 edition may instead take Healy-Rae, R., Barry, F. and Buitleir, D. Who’s Afraid of
Volume 1 of the earlier edition into the examination. the ECJ? Implications of the European Court of Justice
Available from the International Tax Centre at Leiden Decisions on Ireland’s Corporate Tax Regime (Irish Tax
University: Institute, 2007) [ISBN: 9781842601655]
www.itc-leiden.nl or [email protected] Available from Irish Tax Institute via TaxFind:
Or available from Wildy & Sons: www.wildy.com www.taxinstitute.ie/TaxFind/Taxfind.aspx

No other texts may be taken into the examination. Herlihy, J., Moore, P. and O’Sullivan, H. Corporation
Tax, Finance Act 2010 (Irish Tax Institute, 2010) [ISBN:
9781842602201]
Books Available from Irish Tax Institute: www.taxinstitute.ie

Bradley, J. PRSI, Levies and the Universal Social Charge, Maguire, T. The Taxation of Companies 2021
Finance Act 2012 (Irish Tax Institute, 2012) [ISBN: (Bloomsbury Professional, 2021) [ISBN:
9781842602928] 9781526513717]
Available from Irish Tax Institute via TaxFind: Available from Bloomsbury Professional:
www.taxinstitute.ie/TaxFind/Taxfind.aspx www.bloomsburyprofessional.com

Brodie, S. et al. Value Added Tax and VAT on Property, McQuillan, P. Irish Income Tax 2015 (Bloomsbury
Finance Act 2016 (Irish Tax Institute, 2017) Professional, 2015) [ISBN: 9781780436999]
Available from Irish Tax Institute via TaxFind: Available from Bloomsbury Professional:
www.taxinstitute.ie/TaxFind/Taxfind.aspx www.bloomsburyprofessional.com

O’Brien, C. Double Taxation Agreements (Irish Tax


Institute, 2014) [ISBN: 9781842603628]
Available from Irish Tax Institute: www.taxinstitute.ie

34 ADIT
Power, T., Scully, E. and Devlin, C. The Law and Practice • Farrell, F. and Brady, K. “EU Social Security changes:
of Irish Stamp Duty, Finance Act 2013 (Irish Tax significant changes – could they affect your
Institute, 2013) [ISBN: 9781842602935] clients?” (September 2010)
Available from Irish Tax Institute via TaxFind: • Farrell, F. “International mobile directors: the final
www.taxinstitute.ie/TaxFind/Taxfind.aspx
frontier” (March 2015)
Riordan, D. The Taxation of Capital Gains, Finance Act • Florides, J. “Offshore funds: a quick guide to
2019 (Irish Tax Institute, 2020) Finance Act 2007 changes” (May 2007)
Available from Irish Tax Institute via TaxFind: • Gill and Porter. “CAT and double taxation: credit
www.taxinstitute.ie/TaxFind/Taxfind.aspx where it’s due” (September 2009)
• Keogh, N. and Sexton, L. “Taxation of fund
Schwarz, J. Schwarz on Tax Treaties (Kluwer
investments – where are we at?” (March 2014)
Law International, 6th edition, 2021) [ISBN:
9789403526300] • Maguire, T. “Corporate Tax deductions for interest
Available from Wolters Kluwer: after Finance Act 2011” (May 2011)
https://lrus.wolterskluwer.com/store • Maguire, T. “Tax treatment of foreign dividends and
(Discount available for registered ADIT students) EU law – are we there yet?” (May 2013)
• Quirke, J. “Dual residents: Interpreting the
Whelan, J. and Williams, A. Taxation of Gifts and
“tie-breaker” rules in a globalised world”
Inheritances, Finance Act 2019 (Irish Tax Institute, 2020)
Available from Irish Tax Institute via TaxFind: (September 2014)
www.taxinstitute.ie/TaxFind/Taxfind.aspx • Raine, M. “Sections 247 and 249 TCA 1997: interest
relief on loans” (January 2013)
• Vale, P. and Meredith, S. “Foreign tax revisited:
Periodicals recap and update on recent changes” (June 2010)
Cahiers de Droit Fiscal International (Studies on • Walsh, F. and Smyth, P. “Offshore Funds: a little
International Fiscal Law) (Deventer: Kluwer Law done, lots more to do” (March 2009)
International) • Watson, D. “Foreign direct investment: the people
Also known as Cahiers DFI. Despite its title, most agenda” (September 2014)
reports in the Cahiers are published in English. Available from Irish Tax Institute via TaxFind:
Relevant articles include: www.taxinstitute.ie/TaxFind/Taxfind.aspx
• “Foreign exchange issues and international
taxation” (Volume 94b, page 345)
• “Is there a permanent establishment?” (Volume Online Resources
95a, p.367)
International Corporate Tax Reform and Taxing
• “Tax treaties and anti-avoidance” (Volume 95a, Innovation in Ireland (Irish Tax Institute, February 2020)
p.389) Available from Irish Tax Institue:
• “Cross-border business restructuring” (Volume 96a, www.taxinstitute.ie/event/international-corporate-tax-
p.383) and-taxing-innovation-in-ireland
Available from IFA:
www.ifa.nl/publications/cahiers/pages/default.aspx Transfer Pricing in Ireland 2020 and Beyond (Irish Tax
Institute, November 2020)
Irish Tax Review (Irish Tax Institute) Available from Irish Tax Institue:
Relevant articles include: www.taxinstitute.ie/event/transfer-pricing-in-ireland-
2020-and-beyond
• Berry, M. “Key provisions for companies – Finance
No 2 Act 2013” (March 2014)
ADIT 35
MODULE 2.07 -
MALTA OPTION
I Income Tax
A Jurisdiction to tax 5%
B Ascertainment of chargeable income 10%
C Taxation of individuals 10%
D Taxation of companies 15%
E Taxation of partnerships 5%
F Special cases 5%
G Relief from international double taxation and Malta’s double tax treaty network 10%
H Tax administration 5%
I Anti Tax Avoidance Directive (ATAD) 5%
II Income Tax on capital gains 10%
III Property Transfers Tax (PTT) 5%
IV Duty on Documents and Transfers (DDT) 5%
V Value Added Tax (VAT) 10%

I Income Tax

A Jurisdiction to tax
1. General jurisdiction rules (income arising, foreign source income, the remittance basis) 3
2. The meaning of ordinary residence for individuals 2
3. The meaning of ordinary residence for companies 3
4. The meaning of domicile for individuals 2
5. The meaning of domicile for companies 3
6. The meaning of ‘residence’ for companies and individuals and relevance of the term 2
B Ascertainment of chargeable income
1. The concept of chargeable income 2
2. Deductions of a non-capital allowances nature 2
3. Capital allowances 3
4. ‘Personal’ deductions (Article 14A-14H) 2
5. Surrendering of losses 2
6. Relevant exemptions (Including the Participation Exemption) 3
C Taxation of individuals
1. The taxation of employment income 3
2. The Fringe Benefit rules 2
3. Article 56(17), Article 56(21), Article 56(23), Article 56(25), Article 56(26), Article 56(27) 2
4. The part-time and overtime rules 2
5. Computational issues 2
D Taxation of companies
1. The meaning of the term ‘company’ 3
2. General tax treatment of companies 3
3. Tax accounting 3
4. The refundable tax credit system and the full imputation system 3
5. Deemed distributions and the investment income provisions 2
E Taxation of partnerships
1. Transparent entities for the purposes of Maltese law 2

36 ADIT
2. The taxation of partners and partnerships, including treatment as companies 2
F Special cases
1. Shipping companies 3
2. Collective investment schemes 3
3. Non-resident entertainers 1
4. Trusts and foundations 3
5. Aviation companies 3
6. Insurance companies 2
7. Banking companies 2
8. Petroleum profits 3
9. Rental income 3
10. Notional interest deduction 3
11. Fiscal consolidation 3
G Relief from international double taxation and Malta’s double tax treaty network
1. Double taxation treaty relief 1
2. Unilateral relief and relief for underlying tax 3
3. The Flat Rate Foreign Tax Credit 3
4. Malta’s double tax treaty network 3
H Tax administration
1. Tax compliance obligations 1
2. Penalties 1
3. Objections, assessments and appeals 3
4. Taxation and human rights 3
I Anti Tax Avoidance Directive (ATAD)
1. Domestic implementation of ATAD measures, including CFC, interest limitation and anti-hybrid rules 3

II Income Tax on capital gains

1. Chargeable gains 3
2. Relevant definitions 2
3. Transfers of immovable property 2
4. Transfers of securities (including capital gains rules) 2
5. Transfer of interests in partnerships 2
6. Value-shifting 2
7. De-grouping 2
8. Exemptions 2

III Property Transfers Tax (PTT)

1. Scope of Article 5A, Income Tax Act 2


2. Special rules 2

IV Duty on Documents and Transfers (DDT)

1. Documents subject to duty 3


2. Transfers of shares 3
3. Transfers of immovable property 2

V Value Added Tax (VAT)

1. Concept of ‘Turnover Tax’ 1


2. The application of VAT to cross-border acquisitions, importations and supplies 2
3. Compliance obligations 2
4. VAT grouping 2

ADIT 37
RECOMMENDED
READING LIST
Permitted Texts Essential Reading
Candidates may take a copy of the following texts only Attard, R. An Introduction to Income Tax Theory
into the examination: (Agenda Books, 2005) [ISBN: 9789993267270]
Available from Professional Bookshops:
Attard, R. Principles of Maltese Income Tax Law (Malta www.professionalbooks.co.uk
Institute of Management, 2019) [ISBN: 9789995715625]
Available from Malta Institute of Management: Attard, R. Principles of Maltese Income Tax Law (Malta
www.maltamanagement.com Institute of Management, 2019) [ISBN: 9789995715625]
Or available from Malta Online Bookshop:
https://maltaonlinebookshop.com

Attard, R. Principles of Maltese VAT Law (Malta Institute


of Management, 2009) [ISBN: 9789995780210]
Available from Malta Institute of Management:
www.maltamanagement.com

Laws of Malta, Cap 123, Income Tax Act (1949, as


amended 1994)
Available from Legislation Malta:
https://legislation.mt/eli/cap/123/eng

Laws of Malta, Cap 372, Income Tax Management Act


(1994)
Available from Legislation Malta:
https://legislation.mt/eli/cap/372/eng

Laws of Malta, Cap 364, Duty on Documents and


Transfers Act (1993)
Available from Legislation Malta:
https://legislation.mt/eli/cap/364/eng

Laws of Malta, Cap 406, Value Added Tax Act (1999)


Available from Legislation Malta:
https://legislation.mt/eli/cap/406/eng

No other texts may be taken into the examination.

38 ADIT
MODULE 2.08 -
SINGAPORE OPTION
I Income Tax
A Jurisdiction to tax 10%
B Taxation of individuals 10%
C Taxation of companies and other vehicles 15%
D Taxation implications of debt and equity 10%
E Ascertainment of chargeable income 10%
F Tax planning 10%
G Tax administration 5%
H Relief from international double taxation 15%
II Goods and Services Tax (GST) 15%

I Income Tax

A Jurisdiction to tax
1. Charge to tax: source; remittance 3
2. Deemed and exempt income 2
3. Tax residence and its implications 3
B Taxation of individuals
1. Employment income 3
2. Perquisites: stock options 2
3. Deductions and personal reliefs 1
4. Non-resident reliefs 2
C Taxation of companies and other vehicles
1. Taxation of corporate profits: trade or business 3
2. Corporate residence and tax implication 2
D Taxation implications of debt and equity
1. Deductibility of interest and other costs of debt financing 3
2. Taxation of corporate distributions 3
E Ascertainment of chargeable income
1. Deductions 3
2. Capital allowances 3
3. Loss relief 2
F Tax planning
1. Anti-avoidance 3
2. Advance rulings 1
3. Transfer pricing 2
G Tax administration
1. Assessment and compliance 1
2. Objections and appellate process 2
3. Penalties for non-compliance and violations 2
H Relief from international double taxation
1. Unilateral and bilateral reliefs 3
2. Tax credits under double tax agreements 2

ADIT 39
II Goods and Services Tax (GST)

A The charge to tax 3


B Scope of charge: supply; consideration; taxable person; in the course of furtherance
of business 3
C Value of supply and time of supply 2
D International services and taxation of the digital economy
1. Business-to-business supplies of imported sevices under the reverse charge mechanism regime 2
2. Business-to-consumer supplies made to non GST registered persons under the new overseas
vendor registration (OVR) regime 2
E Anti-avoidance 2

40 ADIT
RECOMMENDED
READING LIST
Permitted Texts LexisNexis. Halsbury’s Laws of Singapore: Revenue
and Taxation (Income Tax). Volume 16 (Singapore:
Candidates may take a copy of the following texts only LexisNexis, 2020) [ISBN: 9789814892209]
into the examination: Available from LexisNexis: www.lexisnexis.com.sg

Goods and Services Tax Act, Cap 117A, Rev Ed 2005 with Hin, P., Koh, D. and Yan, T. The Law and Practice of
all subsequent amendments Singapore Income Tax (Singapore: LexisNexis, 3rd
Available from the Singapore Attorney-General’s edition, 2021) [ISBN: 9789812369796]
Chambers: https://sso.agc.gov.sg/ Available from LexisNexis: www.lexisnexis.com.sg

Income Tax Act, Cap 134, Rev Ed 2014 with all


subsequent amendments Additional Reading
Available from the Singapore Attorney-General’s
Chambers: https://sso.agc.gov.sg/ CCH. Tax Issues: Articles and Case Notes (Singapore:
Also available in the following publication: CCH Asia Pte Ltd, 2001) [ISBN: 9789810442125]
Wolters Kluwer. Singapore Income Tax Act (Cap
134) (Wolters Kluwer, 13th edition, 2020) [ISBN:
9789814838078] Online Resources
Available from Wolters Kluwer:
https://shop.wolterskluwer.com.sg/ Singapore IRAS: www.iras.gov.sg

No other texts may be taken into the examination. Singapore Law Watch: www.singaporelawwatch.sg

Singapore Ministry of Finance/Taxation:


Textbooks for Singapore Tax www.mof.gov.sg

CCH. Singapore Master Tax Guide Handbook 2021-2022 Singapore statutes and judicial authorities:
(CCH Singapore, 2021) [ISBN: 9789814838115] www.lawnet.com.sg and https://sso.agc.gov.sg/
Available from CCH: www.cch.com.sg
Or available from Professional Bookshop:
www.pbookshop.com

CCH. Singapore Master Tax Guide Manual (Singapore:


CCH Asia Pte Ltd, two-volume looseleaf edition, 1989-)
[ISBN: 9789810010867]
Volume 2 contains a compilation of articles on a range
of topics and issues that candidates may find helpful.
Available from CCH: www.cch.com.sg

How, K. S. et al. Goods and Services Tax: Law and


Practice (Singapore: LexisNexis, 2nd edition, 2015)
[ISBN: 9789814608398]
Available from Professional Bookshop:
www.pbookshop.com

ADIT 41
MODULE 2.09 -
UNITED KINGDOM OPTION
I Income Tax, Corporation Tax and Capital Gains Tax
A Basic jurisdictional rules 10%
B The application of corporation tax to cross-border situations 25%
C The UK double tax treaty network (including double tax relief) 15%
D Transfer pricing (to include thin capitalisation) 15%
E Anti-avoidance 20%
II Inheritance Tax
III Stamp Taxes
IV National Insurance Contributions (NICs) 15%
V Value Added Tax (VAT) and customs duties
VI The impact of EU law

I Income Tax, Corporation Tax and Capital Gains Tax

A Basic jurisdictional rules


1. Jurisdictional rules applying to the various categories of income and to Capital Gains Tax 3
2. Meaning of residence for individuals, corporations and other bodies 3
3. Determination of UK source or situs for various categories of income and property: trading
in the UK; UK permanent establishment 3
4. The imposition of tax on non-resident persons: UK tax representatives of non-resident
persons; withholding at source 3
5. Domicile 3
6. Remittance basis 3
7. Administrative and compliance requirements 1
B The application of Corporation Tax, etc. to cross-border situations
1. The taxation of the foreign income of UK-resident corporations 3
2. The determination and taxation of the UK-source income of non-resident corporations 3
3. Entity characterisation: the characterisation of foreign entities for various purposes 3
4. Cross-border payments of dividends, interest and royalties out of the UK 3
5. Cross-border payments of dividends, interest and royalties into the UK 3
6. Restrictions on the deductibility of interest 3
7. Forex rules 2
8. Cross-border reorganisations 3
9. Tax consequences of change of corporate residence 3
10. Tax issues of employees: stock options, NICs, tax equalisation arrangements 2
11. UK partnerships trading abroad; non-resident partners in UK partnerships 2
C The UK double tax treaty network (including double tax relief)
1. The legal basis for negotiating and implementing double taxation conventions (DTCs) in the UK 2
2. The approach to interpreting DTCs in the UK 3
3. An overview of the UK treaty network (candidates are not expected to know the details of the
entire network, but are expected to know where UK treaty practice departs regularly from the
OECD Model. Some understanding of the major UK treaties, with the US, Netherlands, France and
Germany in particular, is expected) 2
4. Double tax relief
i. The basis for double tax relief: unilateral and treaty relief 2
ii. The rules for determining double tax relief: the credit code 3
iii. Practical administration of DTCs and foreign tax credit relief 2

42 ADIT
D Transfer pricing (to include thin capitalisation)
1. The legal basis for transfer pricing adjustments in the UK 3
2. The UK approach to transfer pricing 3
3. Other transfer pricing provisions 2
4. Thin capitalisation provisions 3
5. The UK approach to thin capitalisation 3
E Anti-avoidance
1. Transfers of assets abroad 2
2. Controlled Foreign Companies (CFCs) 3
3. Offshore funds 1
4. International movement of capital – reporting requirements 3
5. Treaty abuse 2
6. Capital Gains Tax 3
7. Hybrid mismatch rules 3
8. Corporate Interest Restriction (CIR) 3
9. Diverted Profits Tax (DPT) 3
10. Unallowable purpose rule 3
11. General Anti-Abuse Rule (GAAR) 2
12. Profit fragmentation rules 2
13. Offshore receipts in respect of intangible property (ORIP) rules 2
14. Digital Services Tax (DST) 3

II Inheritance Tax

A Basic jurisdictional rules


1. Domiciled individuals, non-domiciled individuals, deemed domicile 2
2. Situs of assets 2
B Double taxation
1. The UK’s network of estate taxation conventions 1
2. Measures for relieving double taxation 1

III Stamp Duty, Stamp Duty Reserve Tax, Stamp Duty Land Tax

A Basic jurisdictional rules 2


B Extension of stamp duty reliefs to cross-border situations 2

IV National Insurance Contributions (NICs)

A Application of NIC rules in cross-border situations 2


B The UK’s network of social security agreements 1

V Value Added Tax (VAT) and customs duties

A The application of VAT to cross-border acquisitions, importations and supplies 2


B The application of VAT to non-UK resident entities 2
C The liability to and collection of customs duties in the UK and available reliefs 1
D The post-Brexit settlement, including the new UK VAT rules 3

VI The impact of EU law

1. The impact of the Directives on direct taxation: Parent-Subsidiary Directive; Mergers Directive;
Arbitration Convention; Mutual Assistance Directives; Interest; Royalties; Savings Income 2
2. Withholding taxes and the non-applicability of EU Directives post-Brexit 3
3. DAC6 and the EU Mandatory Disclosure Regime 2

ADIT 43
RECOMMENDED
READING LIST
For exams taking place in 2022, the 2021 Finance Act is Redston, A. Tolley’s Yellow Tax Handbook 2021-2022
considered examinable. Any 2021 Finance Act (No.2) is (LexisNexis, 2021) [ISBN: 9781474317641]
not considered examinable. Available from LexisNexis: www.lexisnexis.co.uk
(Discount available for registered ADIT students
The EU-UK Trade and Cooperation Agreement is at www.tolley.co.uk/purchase?id=27&pc=CIOT_
considered examinable in 2022. ET&step=2)

Nonetheless, all ADIT exam candidates are expected to Van Raad, K. Materials on International, TP and EU Tax
maintain a general understanding of recent, significant Law 2020-2021. Volume A (Leiden: International Tax
legislative changes relevant to each exam subject. Centre, 2020) [ISBN: 9789082585452]
Candidates with a pre-2016 edition may instead take
What is essential is a thorough understanding of the Volume 1 of the earlier edition into the examination.
relevant parts of the UK tax legislation and cases, to Available from the International Tax Centre at Leiden
which candidates will need direct access. University:
www.itc-leiden.nl or [email protected]
Or available from Wildy & Sons: www.wildy.com
Permitted Texts
No other texts may be taken into the examination.
Candidates may take a copy of the following texts only
into the examination:

Cordara, R. Tolley’s Orange Tax Handbook 2021-2022


Tax Legislation
(LexisNexis, 2021) [ISBN: 9781474317610]
CCH. British International Tax Agreements (CCH,
Available from LexisNexis: www.lexisnexis.co.uk
updated weekly)
(Discount available for registered ADIT students
Online version available from CCH: www.cch.co.uk
at www.tolley.co.uk/purchase?id=27&pc=CIOT_
ET&step=2)
Croner-i Green VAT Legislation
Available from Croner-i:
OECD, Committee on Fiscal Affairs. Model Tax
https://library.croneri.co.uk/green
Convention on Income and on Capital (Paris: OECD,
2017) [ISBN: 9789264287945]
Croner-i Red Tax Legislation
Available from the OECD:
Available from Croner-i:
www.oecd-ilibrary.org
https://library.croneri.co.uk/red
Or available from Turpin Distribution:
ebiz.turpin-distribution.com
The Stationary Office Ltd. Finance Act 2021 (TSO, 2021)
Available from legislation.gov.uk:
OECD, Committee on Fiscal Affairs. Transfer Pricing
www.legislation.gov.uk/ukpga/2021/26/enacted
Guidelines for Multinational Enterprises and
Tax Administrations (Paris: OECD, 2017) [ISBN:
9789264262737]
Available from the OECD:
Books
www.oecd-ilibrary.org
Baker, P. Double Taxation Conventions (London: Sweet &
Or available from Turpin Distribution:
Maxwell, 3rd edition, 2001) [ISBN: 9780421673601]
ebiz.turpin-distribution.com
Available from Sweet & Maxwell:
www.sweetandmaxwell.co.uk

44 ADIT
Dixon, J. and Finney, M. Tolley’s International Corporate
Tax Planning (LexisNexis, 5th edition, 2002)
[ISBN: 9780754513391]
Available from Amazon: www.amazon.co.uk

Kessler, J. Taxation of Non-Residents and Foreign


Domiciliaries 2021-2022 (Key Haven Publications, 20th
edition, 2021) [ISBN: 9781901614862]
Available from Wildy & Sons: www.wildy.com

Fairpo, A. and Salter, D. Revenue Law: Principles and


Practice (Bloomsbury Professional, 38th edition, 2020)
Available from Bloomsbury Professional:
www.bloomsburyprofessional.com
Or available from Blackwell’s: www.blackwells.co.uk

Oats, L. Principles of International Taxation (Bloomsbury


Professional, 8th edition, 2021) [ISBN: 9781526519559]
Contents catered to ADIT syllabus.
Available from Bloomsbury Professional:
www.bloomsburyprofessional.com

Saunders, R. International Tax Systems and Planning


Techniques 2011-2012 (London: Sweet & Maxwell,
2011) [ISBN: 9780414022683]
Available from Sweet & Maxwell:
www.sweetandmaxwell.co.uk
Or available from Wildy & Sons: www.wildy.com

Schwarz, J. Booth and Schwarz: Residence, Domicile and


UK Taxation (Bloomsbury Professional, 20th edition,
2018) [ISBN: 9781526506160]
Available from Bloomsbury Professional:
www.bloomsburyprofessional.com
Or available from Amazon: www.amazon.com

Schwarz, J. Schwarz on Tax Treaties (Kluwer


Law International, 6th edition, 2021) [ISBN:
9789403526300]
Available from Wolters Kluwer:
https://lrus.wolterskluwer.com/store
(Discount available for registered ADIT students)

ADIT 45
MODULE 2.10 -
UNITED STATES OPTION
I Federal Income Tax
A Basic rules and concepts 20%
B Cross-border situations: outbound 17.5%
C Cross-border situations: inbound 17.5%
D US tax treaties 10%
E Transfer pricing 10%
F Cross-border mergers and acquisitions 5%
G Foreign trusts 5%
H Information reporting and information exchange 5%
II Federal Estate Tax
A Basic rules and concepts
B Cross-border issues 10%
III Federal Gift Tax
A Basic rules and concepts
B Cross-border tax issues

I Federal Income Tax

A Basic rules and concepts


1. US taxpayers: individuals, corporations and others 3
2. Entity classification 3
3. Residency tests for individuals 3
4. Source of income and deductions 3
5. Withholding tax principles 3
6. Bilateral tax treaties 3
7. Corporate groups and consolidated returns 2
8. General anti-avoidance: substance over form 3
B Cross-border situations: outbound
1. Participation exemption, Global Intangible Low-taxed Income (GILTI) and Foreign-Derived Intangible
Income (FDII) 3
2. Foreign tax credit 3
2. Corporate transfers to foreign subsidiaries 3
3. Distributions from foreign subsidiaries 3
4. Foreign currency rules 2
5. Controlled foreign corporations 3
6. Passive foreign investment companies 3
7. Investment in foreign partnerships, funds 2
8. Foreign branches 3
C Cross-border situations: inbound
1. US trade or business of a foreign person 3
2. Effectively connected income 3
3. Branch profits tax 3

46 ADIT
4. Related party financing of US subsidiary:
i. debt vs. equity 3
ii. earnings stripping rules 3
5. Distributions from US subsidiary 3
6. US-source payments where no US trade or business 2
7. Safe harbours for US investment activity 2
8. Anti-conduit rules 3
9. Foreign investment in US real property interests 3
D US tax treaties
1. The OECD Model and the US Model 3
2. Limitation on benefits provisions 3
3. Provisions relating to hybrid entities 2
E Transfer pricing
1. The US approach to transfer pricing 3
2. Cost-sharing for research and development 2
3. Global trading of securities 2
4. Transfer pricing of services and intangibles 2
F Cross-border mergers and acquisitions
1. Tax-free reorganisations 2
2. Outbound reorganisations 2
3. Inbound reorganisations 2
4. Carryover of tax attributes, losses 2
G Foreign trusts
1. Grantor trust rules 2
2. Non-grantor trusts and accumulated income 2
H Information reporting and information exchange
1. Foreign Account Tax Compliance Act (FATCA) 2
2. Foreign bank account reporting and entity information returns 2
3. Exchange of information and cooperation between revenue authorities 1

II Federal Estate Tax

A Basic rules and concepts


1. Domicile of individuals 2
2. Situs of assets 2
B Cross-border issues
1. Transfers to non-resident alien beneficiaries 2
2. Relief of double taxation: estate tax treaties 2

III Federal Gift Tax

A Basic rules and concepts


1. US persons and non-resident aliens 2
2. Situs of property for gift tax purposes 2
B Cross-border issues
1. Transfers to non-resident aliens 2

ADIT 47
RECOMMENDED
READING LIST
Permitted Texts Additional Reading
Candidates may take a copy of the following texts only Christensen III, H. International Estate Planning (New
into the examination: York: Matthew Bender, 2nd edition, 1999-, updated
annually) [ISBN: 9780820514826]
Any unannotated, bound hardcopy edition of the Available from LexisNexis: www.lexisnexis.com
Internal Revenue Code and Treasury Regulations may
be used. Herzfeld, M. International Taxation in a Nutshell (St
Paul: West Publishing, 12th edition, 2019)
CCH. Internal Revenue Code (Chicago: CCH, latest [ISBN: 9781684673469]
edition) Available from Amazon: www.amazon.com
Available from CCH: www.cchgroup.com
Postlewaite, P., Sheffield, J., Tokic, G. and Weiss, M.
CCH. Income Tax Regulations (Chicago: CCH, latest United States International Taxation (Carolina Academic
edition) Press, 4th Edition, 2019) [ISBN: 9781531011185]
Available from CCH: www.cchgroup.com Available from Carolina Academic Press:
www.cap-press.com
Both available in the following publication:
Peroni, R., Gustafson, C. and Pugh, R. International Postlewaite, P. and Weiss, M. Tax Cuts and Jobs Act
Income Taxation: Code and Regulations (Chicago: CCH, Impact - Guide to International Tax: Corporations (CCH,
latest edition) 2018) [ISBN: 9780808049968]
Available from CCH: www.cchgroup.com Available from CCH: www.cchcpelink.com

No other texts may be taken into the examination. Streng, W. US International Estate Planning (Boston:
Warren, Gorham & Lamont, 1996)
[ISBN: 9780791326015]
Essential Reading Online version available from Thomson Reuters:
http://ria.thomson.com/Estore/detail.asp?ID=WUEPE
Repetti, J., Ring, D. and Shay, S. Introduction to
United States International Taxation (Alphen:
Kluwer Law International, 7th edition, 2021) [ISBN: Periodicals
9789403523859]
Available from Wildy & Sons: www.wildy.com Tax Notes International (Tax Analysts) [ISSN: 10483306]
Available from LexisNexis: www.lexisnexis.co.uk
Schadewald, M. and Misey, R. Practical Guide to US Also available from Tax Analysts: www.taxanalysts.com
Taxation of International Transactions (Chicago: CCH,
12th edition, 2020) [ISBN 9780808055310] Tax Notes International Special Supplement - The
Available from Amazon: www.amazon.com Tax Cuts and Jobs Act: A Practitioner’s Resource (Tax
Analysts)
Available from Tax Analysts (subscription required):
www.taxanalysts.com

48 ADIT
MODULE 2.11 -
BRAZIL OPTION
I Jurisdiction to tax (including territoriality) 15%
II Taxation of non-residents 25%
III Taxation of individuals 10%
IV Taxation of companies 25%
V Tax planning 10%
VI Tax treaties and international agreements 15%

I Jurisdiction to tax (including territoriality)

A Brazilian sovereignty and the territoriality principle 1


B The fiscal domicile concept in Brazilian tax legislation 3
C The double tax treaty primacy rule 2

II Taxation of non-residents

A General rules 3
B Taxpayers 3
C Income and capital gains 3
D Exemptions, zero rates and tax reductions 1
E Dividends 2
F Capital and financial markets 2
G Interest 2
H Services 2
I Royalties 2
J International freight 1
K International leasing 1
L Withholding and collection 3

III Taxation of individuals

A Tax residency 3
B Worldwide income taxation principle for Brazilian residents 2
C Dual residence under Brazil’s double taxation treaties 1
D Foreign tax credit 2
E Income and capital gains 3

IV Taxation of companies

A Tax residency 3
B The worldwide income taxation principle for Brazilian companies 2
C CFC rules 3
D Dual fiscal residence under Brazil`s double tax treaties 2
E Taxation of non-resident entities
1. Foreign tax credit 1
2. Permanent establishment 2
F Transfer pricing 1
G Thin capitalisation rules 1
H Taxation of trusts and transparent entities 1

ADIT 49
V Tax planning

A The substance-over-form approach in Brazil


1. Treaty shopping prevention of BEPS in Brazil’s domestic regulations 3
B Impacts of the OECD/G20 BEPS Project on Brazil’s tax policy 1

VI Tax treaties and international agreements

A OECD and UN models 2


B Brazil’s international tax policy vis-a-vis the OECD and UN models 3
C Exchange of information for tax purposes 1

50 ADIT
RECOMMENDED
READING LIST
Tax Legislation Additional Reading
Brazilian Federal Constitution Flavio Neto, L. and Polizelli, V. “Brazil”, in Pistone, P.
Available from Biblioteca Digital da Câmara dos IBFD Global topics - Global Tax Treaty Commentaries
Deputados: (IBFD, 2021)
http://english.tse.jus.br/arquivos/federal-constitution
Rocha, S. A. Tributação de Lucros Auferidos no Exterior
Federal Tax Legislation [Lei nº 12.973/2014]

Service Tax Legislation Schoueri, L. E. Preços de Transferência [Lei nº


12.766/2012]
ICMS Legislation

Brazilian Double Taxation Treaties Online Resources


Income Tax Department of Brazil:
Books idg.receita.fazenda.gov.br

Bellan, D. V. Direito Tributário Internacional: Ministry of Finance:


Rendimentos de Pessoas Físicas nos Tratados www.fazenda.gov.br
Internacionais Contra Dupla Tributação (São Paulo:
Saraiva, 2010) [ISBN: 9788502092495] Mercosul:
Available from Estante Virtual: www.mercosul.gov.br
www.estantevirtual.com.br

Duarte Filho, P. Double Tax Treaties Policies of Brazil:


The Brazilian Model Convention (São Paulo: Lumen
Juris, 2018) [ISBN: 9788551907092]
Available from Estante Virtual:
www.estantevirtual.com.br

Rocha, S. A. Manual de Direito Tributário Internacional


(São Paulo: Saraiva, 2012)
Available from Estante Virtual:
www.estantevirtual.com.br

Xavier, A. Direito Tributário Internacional do Brasil (Rio


de Janeiro: Forense, 2015) [ISBN: 9788530944216]
Available from Estante Virtual:
www.estantevirtual.com.br

ADIT 51
MODULE 3.01 -
EU DIRECT TAX OPTION
I The legal background 10%
II The harmonisation of direct taxes 20%
III The tax jurisprudence of the ECJ relating to direct taxation 35%
IV Administrative co-operation between revenue authorities in Europe 5%
V The EU and international tax law 15%
VI The state aid rules and taxation 10%
VII The future direction of EU tax law 5%

I The legal background

A The provisions of the TEU and the TFEU which are relevant to taxation 1
B The EU institutions relevant to taxation 1
C The hierarchy of EU and national tax regimes: possible approaches and implications for taxation 1
D The Charter of Fundamental Rights and its application to taxpayers 1

II The harmonisation of direct taxes

A Important direct tax directives (Parent-Subsidiary Directive, Merger Directive, Interest and Royalties
Directive, Anti-Tax Avoidance Directive, Double Taxation Dispute Resolution Mechanisms Directive) 3
B Pending and proposed directives including CCTB/CCCTB and taxation of the digital economy 1

III The jurisprudence of the ECJ relevant to direct taxation

A The concept of ‘restriction’ 3


B Comparability and discrimination 3
C The concept of proportionality 3
D Derogations, justifications and the exercise of sovereignty 3
E Abuse of law 3
F The relationship with non-member countries 2

IV Administrative co-operation between revenue authorities in Europe

A The Mutual Assistance Directive for the Recovery of Taxes 1


B The Directive on Administrative Cooperation 3

V The EU and international tax law

A The EU and double taxation conventions, including the relevant jurisprudence of the Court of Justice 1
B The EU and international tax avoidance and evasion 1
C The EU and the OECD/G20’s BEPS project 2
D The EU and Good Tax Governance 2

52 ADIT
VI The state aid rules and taxation

A The application of the State Aid rules to taxation, with particular reference to the decisions of the Court of
Justice 2

VII The future directions of EU tax law

A Current developments 2
B Future policy directions 1

ADIT 53
RECOMMENDED
READING LIST
For exams taking place in 2021, the EU-UK Trade and Periodicals
Cooperation Agreement is not considered examinable.
Bulletin of the International Bureau of Fiscal
Documentation (Amsterdam: IBFD) [ISSN: 00074624]
Permitted Texts Available from IBFD: www.ibfd.org

Candidates may take a copy of the following text only EC Tax Journal (Key Haven Publications) [ISSN:
into the examination: 13501089]
Available from Key Haven Publications:
Van Raad, K. Materials on International, TP and EU www.khpplc.co.uk
Tax Law 2020-2021. Volumes C1 and C2 (Leiden:
International Tax Centre, 2020) EC Tax Review (New York: Kluwer Law International)
Available from the International Tax Centre at Leiden [ISBN: 9789880007408]
University: Published together with Intertax.
www.itc-leiden.nl or [email protected] Available from Kluwer Law International:
Or available from Wildy & Sons: www.wildy.com www.kluwerlawonline.com

Candidates with a 2016-2017 edition may instead take European Taxation (Amsterdam: IBFD) [ISSN:
Volume C of the earlier edition into the examination. 00143138]. Also known as ET.
Available from IFBD: www.ibfd.org
No other texts may be taken into the examination.
Highlights and Insights on European Taxation (Deventer:
Kluwer Law International) [ISSN: 10134764]
Books Available from Kluwer Law International:
http://shop.kluwer.nl
There are several good books that cover the subject
matter of this module: Tax Notes International (Tax Analysts) [ISSN: 10483306]
Available from LexisNexis: www.lexisnexis.co.uk
Helminen, M. EU Tax Law – Direct Taxation 2021 Also available from Tax Analysts: www.taxanalysts.com
(Amsterdam: IBFD, 2021) [ISBN: 9789087227241]
Available from IFBD: www.ibfd.org
Case Law
HJI Panayi, C. European Union Corporate Tax Law
(Cambridge: Cambridge University Press, 2nd edition, Candidates should regularly check the European Court
2021) [ISBN: 9781108839020] of Justice database for new tax cases:
Available from Cambridge University Press: http://curia.europa.eu/juris/recherche.jsf?language=en
www.cambridge.org/gb/academic
The following list of cases from the database will be of
O’Shea, T. Understanding EU Tax 2020 (London: Avoir interest to candidates:
Fiscal, 2020) [ISBN: 9780955916465] https://ec.europa.eu/taxation_customs/sites/taxation/
Available from Amazon: www.amazon.com files/20191212_court_cases_direct_taxation_en.pdf

Terra, B. and Wattel, P. European Tax Law. Volume 1 European Commission Taxation and Customs Union:
(Kluwer, 7th edition, 2018) [ISBN: 9789013133592]. http://ec.europa.eu/taxation_customs/index_en.htm
Available from Amazon: www.amazon.com

54 ADIT
Additional Reading
Treaty on the Functioning of the European Union
Available from EUR-Lex:
https://eur-lex.europa.eu/legal-content/EN/
TXT/?uri=celex%3A12012E%2FTXT

ADIT 55
MODULE 3.02 -
EU VAT OPTION
I Fundamental concepts 15%
II The scope of EU VAT 10%
III Place of taxable transactions 20%
IV The charge to VAT: time of supply, valuation and rates 15%
V Exemptions 10%
VI The right to deduct input tax 15%
VII Administration of VAT 15%

I Fundamental concepts

A Sources of law
1. Treaty on the Functioning of the European Union (articles relating to VAT and indirect taxes) 1
2. Development of VAT law from First Directive to 2006 1
3. Principal VAT Directive 2006/112 as amended 3
4. Implementing Regulation 282/2011/EU as amended 3
5. Other Directives relevant to VAT 1
6. Other Regulations relevant to VAT, e.g. Regulation 904/2010/EU relating to Administrative
Cooperation 1
7. The role of Commission and Council in relation to VAT 1
B EU law principles
1. Fundamental freedoms 1
2. Fiscal neutrality, equal treatment 3
3. Equivalence, effectiveness 3
4. Legal certainty, legitimate expectations 3
5. Proportionality, fundamental human rights 3
6. Abuse of rights, abusive practices 3
7. Acquis communautaire (body of statute and case law of the EU) 1
8. Direct effect of Directives 3
9. Conforming construction of national law 3
C Judicial remedies
1. Role of the Court of Justice of the European Union in relation to VAT 3
2. Infringement proceedings against member states 2
3. Referrals under Article 267, TFEU 2
4. Claims for damages 1
5. Methods of interpretation: purposive construction 2
6. Acte clair (Cilfit) and Acte éclairé (Da Costa) 1

II The scope of EU VAT

A Chargeable events
1. Supply, importation and intra-Community acquisition 3
2. Origin and destination system 1
3. Relevance of legality of transactions or fraudulent intent 2
B Territorial scope
1. VAT territory, customs territory, special territories 1

56 ADIT
C Taxable person
1. Economic activity 3
2. Passive or private activities 2
3. Public authorities 1
4. Occasional transactions 1
5. VAT grouping (single taxable person) 2
D Taxable transaction
1. “Supply of goods” and “supply of services” 3
2. Supply for consideration 3
3. Classification of supplies as goods or services 3
4. Compound/single and multiple/mixed supplies 3
5. Deemed supplies, including intra-Community transfers 3
6. Deemed non-supplies (transfer of going concern) 3
7. Self-supplies 1
8. Acting as an agent 2

III Place of taxable transactions

A Place of supply of goods: general rules and exceptions 3


B Place of intra-Community acquisitions 3
C Place of importations 3
D Place of supply of services: business to business: general rule and exceptions 3
E Place of supply of services: business to consumer: general rule and exceptions 3
F Place of establishment and ‘other fixed establishment’ 3

IV The charge to VAT

A Chargeable event
1. Timing of charge on supplies 3
2. Alternative rules: continuous supplies, link to payment 2
3. Timing of intra-Community acquisitions 2
4. Timing of importations 2
5. Timing of charge on intra-Community supplies of services 2
B Taxable amount
1. Valuation rules: consideration 3
2. Specific items to be included or excluded from taxable amount 2
3. Barter transactions 2
4. Use of open market value: anti-avoidance provisions 2
5. Valuation of intra-Community acquisitions 3
6. Valuation of importations 3
7. Adjustment for non-receipt 3
C VAT rates
1. Structure and level of rates 2
2. Lower rates 2
3. Transitional provisions for rates retained by member states 1

V Exemptions

1. General principles of exemption: strict construction, mandatory where applicable, conditions and
scope for member states to vary rules 3
2. Exemptions within the territory: in the public interest 3

ADIT 57
3. Exemptions within the territory: other exemptions 3
4. Option to tax certain exempt transactions 2
5. Exemptions for despatches of goods within the EU 3
6. Exemptions for intra-Community acquisitions of goods 2
7. Triangular transactions 3
8. Exemptions for exports of goods 3
9. Exemptions on importation 2
10. Other exemptions related to international trade 1

VI The right to deduct input tax

1. The basic right to deduct 3


2. Partial exemption: standard and ‘special’ or alternative methods 3
3. Irrecoverable input tax 2
4. Transitional provisions retaining ‘blocking’ of input tax 1
5. Adjustment of recovery: change of circumstances 3
6. Adjustment of recovery: capital goods 3
7. Exercise of the right to deduct, including requirements for evidence 2

VII Administration of VAT

A Obligations on taxable persons


1. Identification and registration 1
2. Invoicing, accounting, returns and recapitulative statements 1
3. Special schemes for small enterprises 1
4. Margin schemes for tour operators, second hand goods 1
5. Special schemes for taxation of telecommunications, electronic and broadcasting services 2
6. Other special schemes 1
B Derogations
1. Transitional derogations allowed until definitive arrangements agreed 1
2. General scheme of derogations subject to authorisations 1
C Miscellaneous VAT provisions
1. Role of the VAT Committee and VAT Expert Group (VEG) 1
2. Prohibition of other turnover taxes 1
3. Transitional arrangements regarding intra-Community trade 1
4. Proposals for a definitive VAT regime 1
D Cross-Border VAT claims: claimant established in the EU
1. Rules and procedures of Directive 2008/9/EC 1
E Cross-Border VAT claims: claimant established outside the EU
1. Rules and procedures of Directive 86/560/EEC (The 13th VAT Directive) 1
F Trading of goods
1. Community statistics relating to the trading of goods (Regulation 638/2004/EC) 1
2. The One-Stop-Shop (OSS) and Import One-Stop-Shop (IOSS) 2

58 ADIT
RECOMMENDED
READING LIST
For exams taking place in 2022, the EU-UK Trade and European Parliament & Council Regulation 638/2004/EC
Cooperation Agreement is considered examinable. Available from EUR-Lex:
http://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?u
ri=CELEX:32004R0638&from=EN
Permitted Texts
The materials listed above are also included in the
Candidates may take a copy of the following texts only following permitted book:
into the examination: Cordara, R. Tolley’s Orange Tax Handbook 2021-2022.
Part 1 (LexisNexis, 2021) [ISBN: 9781474317610]
Cordara, R. Tolley’s Orange Tax Handbook 2021-2022.
Part 1 (LexisNexis, 2021) [ISBN: 9781474317610] Annacondia, F. EU VAT Compass 2021-2022 (IBFD, 2021)
Available from LexisNexis: www.lexisnexis.co.uk [ISBN: 9789087227081]
(Discount available for registered ADIT students Available from IBFD: www.ibfd.org
at www.tolley.co.uk/purchase?id=27&pc=CIOT_
ET&step=2) Lang, M. et al. ECJ - Recent Developments in Value
Added Tax: the Evolution of European VAT Jurisprudence
Terra, B. and Kajus, J. A Guide to the European and its Role in the EU Common VAT System (Linde
VAT Directives 2021. Volume 2 (IBFD, 2021) [ISBN: Verlag, 2014) [ISBN: 9783707327533]
9789087226817] Available from Booklooker: www.booklooker.de
Available from IBFD: www.ibfd.org
Terra, B. and Kajus, J. A Guide to the European VAT
No other texts may be taken into the examination. Directives 2021 (IBFD, 2021) [ISBN: 9789087226800
(Volume 1); 9789087226817 (Volume 2)]

Essential Reading
Additional Reading
Council Directive 2006/112/EC: the Principal VAT
Directive Accountancy Europe. Modernising VAT: EU Policy
Available from EUR-Lex: Developments (Accountancy Europe, 2019) [ISBN:
http://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?u 9789041122421]
ri=CELEX:32006L0112&from=EN Available from Accountancy Europe:
www.accountancyeurope.eu/publications/
Council Directive 86/560/EEC: the 13th VAT Directive modernising-vat
Available from EUR-Lex:
http://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?u European Commission Action Plan on VAT
ri=CELEX:31986L0560&from=EN Available from the European Commission:
https://ec.europa.eu/taxation_customs/business/vat/
Council Directive 2008/9/EC: Electronic System of VAT action-plan-vat_en
Refunds
Available from EUR-Lex: European Commission Group on the Future of VAT
http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri Available from the European Commission:
=OJ:L:2008:044:0023:0028:EN:PDF https://ec.europa.eu/taxation_customs/business/vat/
informal-commission-expert-group-discussions-with-
Council Implementing Regulation 282/2011/EU member-states_en
Available from EUR-Lex:
http://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?u
ri=OJ:L:2011:077:FULL&from=EN

ADIT 59
Online Resources
EU law, including case law, can be found at EUR-Lex:
http://eur-lex.europa.eu/browse/summaries.html

Information for VAT professionals and students about


the Principal VAT Directive, and its implications for
businesses trading with or within the EU, can be found
at: www.vatdirective.com

Croner-i Green VAT Legislation


Available from Croner-i:
https://library.croneri.co.uk/green

60 ADIT
MODULE 3.03 -
TRANSFER PRICING OPTION
I Fundamental sources 15%
II The arm’s length principle (ALP) 5%
III Functional analysis 10%
IV Transfer pricing methods 10%
V Comparability 10%
VI Specific transactions 15%
VII Permanent establishments (PEs) 10%
VIII Compliance issues 5%
IX Avoiding Double Taxation and dispute resolution 10%
X Other issues 10%

I Fundamental sources

A Tax treaties, based on the OECD Model Convention and UN Model Convention, specifically Article 9
and “special relationship” in Articles 10-12 3
B OECD 2017 Transfer Pricing Guidelines (TPG) 3
C OECD BEPS 2015 Final Reports (Actions 8-10): Aligning transfer pricing outcomes with value creation 2
D UN 2017 Practical Manual on Transfer Pricing for Developing Countries 3
E Transfer pricing litigation cases (refer to the reading list) 3
F EUJTPF Codes of Conduct guidelines and reports 2

II The arm’s length principle (ALP)

A Interpretation of the arm’s length principle and current dialogue 3


B Associated enterprises 3
C Global Formulary Apportionment 1
D Recognition of the actual transactions undertaken 2
E Losses and the effect of government policy 2

III Functional analysis

A The goal of functional analysis 1


B Analysis of functions, assets and risks (FAR) 3
C Relating functional analysis to selection of transfer pricing method 3
D Entity characterisation (e.g. characterisation as “entrepreneur”, stripped risk manufacturer,
commissionaire, etc.) 2
E The practical approach to undertaking functional analysis 3

IV Transfer pricing methods

A Description of methods 2
B Selection and application of the method(s) (including by reference to FAR analysis, entity
characterisation and availability of comparables); the party to be tested 3

ADIT 61
V Comparability

A The significance of comparability and factors determining comparability 3


B Performing a comparability analysis 3
C Dealing with the lack of comparable data 2
D Sources of information: internal/external comparables; “secret comparables”, foreign comparables 2
E Timing and compliance issues in comparability 2

VI Specific transactions

A Intra-group services
1. Different types of intra-group services 3
2. Transfer pricing methods 3
3. Direct/indirect charging and allocation keys 3
4. International guidelines on reviewing services 2
B Intra-group financial transactions
1. Intragroup loans, credit guarantee fees, factoring or receivables, cash pooling, and other forms
of financing and credit risk transfer arrangements 3
2. Loan pricing including creditworthiness, interest rates and credit margins 2
3. Thin capitalisation rules and the nexus with transfer pricing 3
4. Debt pricing and/or debt amounts that result in ongoing losses or low levels of profitability 2
C Intangible property
1. The life cycle of intangibles (development, exploitation, exit strategy) 1
2. Different types of intangibles 2
3. Models to structure the development of intangibles (e.g. contract research and development vs.
cost contribution/cost sharing arrangements) 3
4. Models for exploiting intangibles: for example principal structure vs. licensing out 3
5. Valuation of intangible assets 3
6. Current developments on transfer pricing aspects of intangibles 2
D Business restructurings
1. The nature of business restructuring 1
2. Guidance on transfer pricing aspects of business restructurings including Chapter IX of the OECD
TPG) 3
E Cost contribution arrangements (CCAs)
1. Concept of a CCA including entry, withdrawal or termination 3
2. Applying the ALP in a CCA 3
3. Tax consequences if a CCA is not arm’s length 1
4. Structuring and documenting a CCA 2

VII Permanent establishments (PEs)

A Article 5: Permanent establishments (OECD and UN Models) 1


B Article 7: Business profits (OECD and UN Models) 2
C Understanding the importance of PEs when dealing with transfer pricing 3

VIII Compliance issues

A Documentation 3
1. OECD BEPS 2015 Final Reports (Action 13) 3
2. Country by country reporting, master and local file documentation formats 3
B Examination practices, burden of proof and penalties 2
C Risk assessment and risk management 3
D Audits 1

62 ADIT
IX Avoiding Double Taxation and dispute resolution

A Adjustments 3
B Mutual agreement procedure, including OECD BEPS 2015 Final Reports (Action 14) 3
C Arbitration: Article 25(5) 2
D EU Arbitration Convention 1
E Advance pricing agreements (APAs) 3

X Other issues

A OECD/G20 Base Erosion and Profit Shifting (BEPS) Project 3


B Interaction between customs valuation and transfer pricing 2
C Safe harbours and tax incentives 2
D E-commerce and transfer pricing 2
E Worldwide recent developments in transfer pricing 2

ADIT 63
RECOMMENDED
READING LIST
Permitted Texts United Nations. UN Model Double Taxation Convention
between Developed and Developing Countries 2017.
Candidates may take a copy of the following texts only (New York: UN, 2017) [ISBN: 9789211591026]
into the examination: Available from the United Nations: www.un.org

OECD, Committee on Fiscal Affairs. Model Tax United Nations. UN Practical Manual on Transfer Pricing
Convention on Income and on Capital (Paris: OECD, for Developing Countries 2021 (New York: UN, 2021)
2017) [ISBN: 9789264287945] and accompanying [ISBN: 9789212591858]
Commentary: Article 5, Article 7, Article 9, and “special Available from the United Nations: www.un.org
relationship” in Articles 10-12
Available from the OECD: www.oecd-ilibrary.org Van Raad, K. Materials on International, TP and EU Tax
Or available from Turpin Distribution: Law 2020-2021. Volume A (Leiden: International Tax
ebiz.turpin-distribution.com Centre, 2020) [ISBN: 9789082585452]
Candidates with a pre-2016 edition may instead take
OECD, Committee on Fiscal Affairs. OECD/G20 Base Volume 1 of the earlier edition into the examination.
Erosion and Profit Shifting Project 2015 Final Reports. Available from the International Tax Centre at Leiden
Actions 8-10 (Paris: OECD, 2015) University:
[ISBN: 9789264241237] www.itc-leiden.nl or [email protected]
Available from Turpin Distribution: Or available from Wildy & Sons: www.wildy.com
ebiz.turpin-distribution.com
No other texts may be taken into the examination.
OECD, Committee on Fiscal Affairs. OECD/G20 Base
Erosion and Profit Shifting Project 2015 Final Reports.
Action 13 (Paris: OECD, 2015) [ISBN: 9789264241466] Additional Reading
Available from the OECD:
www.oecd.org/ctp/beps-2015-final-reports.htm Andrus, J.L. and Collier, R. Transfer Pricing and the Arm’s
Length Principle After BEPS (Oxford University Press,
OECD, Committee on Fiscal Affairs. Report on the 2018) [ISBN: 9780198802914]
Attribution of Profits to Permanent Establishments Available from Oxford University Press: global.oup.com
(Paris: OECD, 2010)
Available from the OECD: www.oecd-ilibrary.org Donegan, R. and Henshall, J. Global Transfer Pricing:
Or available from Turpin Distribution: Principles and Practice (Bloomsbury Professional, 4th
ebiz.turpin-distribution.com edition, 2019) [ISBN: 9781526511218]
Available from Bloomsbury Professional:
OECD, Committee on Fiscal Affairs. Transfer Pricing www.bloomsburyprofessional.com
Guidance on Financial Transactions: Inclusive
Framework on BEPS. Actions 4, 8-10 (Paris: OECD, 2020) EY. EY Worldwide Transfer Pricing Reference Guide
Available from the OECD: www.oecd-ilibrary.org 2019-2020 (EY, 2020)
Or available from Turpin Distribution: Available from EY:
ebiz.turpin-distribution.com www.ey.com/en_gl/tax-guides/worldwide-transfer-
pricing-reference-guide-2020
OECD, Committee on Fiscal Affairs. Transfer Pricing
Guidelines for Multinational Enterprises and Tax Konrad, K. A. and Schön, W. Fundamentals of
Administrations (Paris: OECD, 2017) International Transfer Pricing in Law and Economics
[ISBN: 9789264262737] (Springer, 2nd edition, 2014) [ISBN: 9783642434280]
Available from the OECD: www.oecd-ilibrary.org Available from Blackwells:
Or available from Turpin Distribution: https://blackwells.co.uk/bookshop
ebiz.turpin-distribution.com

64 ADIT
Lang, M. et al. Fundamentals of Transfer Pricing: A Case Law
Practical Guide (Kluwer Law International, 2nd edition,
2019) [ISBN: 9789041189943] The following court decisions:
Available from Wolters Kluwer: • Apple Sales International and Apple Operations
https://lrus.wolterskluwer.com/store Europe v Commission [T-892/16] and Ireland v
Commission [T-778/16]
Van Raad, K. Materials on International, TP and EU Tax • Cameco Corporation [2020 FCA 112]
Law 2020-2021. Volume B (Leiden: International Tax • Chevron Australia Holdings Pty Ltd [2017 FCAFC 62]
Centre, 2020)
• DSG [2009 UKFTT 31 (TC)]
Available from the International Tax Centre at Leiden
University: • GE Capital [2010 FCA 344]
www.itc-leiden.nl or [email protected] • GSK Canada [2010 FCA 201]
Or available from Wildy & Sons: www.wildy.com • Glencore [2020 FCAFC 187]
• LG Electronics India Pvt Ltd v ACIT [2013 29
The following texts may also be considered useful
taxmann.com 300]
for candidates in understanding the post-BEPS
environment. However, familiarity with these texts is • Roche Products Property [2008 AATA 261]
not required to sit and pass the exam: • SNF (Australia) Pty Ltd [Single Federal Court
Decision, 2010 FCA 635]
Lolliri, F. Transfer Pricing Risks Post-BEPS: a Practical • SNF (Australia) Pty Ltd [Full Federal Court Decision,
Guide (LexisNexis, 2017) [ISBN: 9780754554639] 2011 FCAFC 74]
Available from LexisNexis: • Unilever Kenya [Income Tax Appeal 753 of 2003]
https://store.lexisnexis.co.uk (Discount available for
registered ADIT students)

Lang, M. and Petruzzi, R. Transfer Pricing Developments


Online Resources
Around the World 2021 (Kluwer Law International, EU Joint Transfer Pricing Forum:
2021) [ISBN: 9789403535258] https://ec.europa.eu/taxation_customs/business/
Available from Wolters Kluwer: company-tax/transfer-pricing-eu-context/joint-transfer-
https://lrus.wolterskluwer.com/store pricing-forum_en
Lang, M., Petruzzi, R. and Storck, A. Transfer Pricing in Candidates should read the following sections:
a Post-BEPS World (Kluwer Law International, 2016)
[ISBN: 9789041167101] 1. Background, achievements
Available from Wolters Kluwer: 2. Code of conduct on transfer pricing documentation
https://lrus.wolterskluwer.com/store for associated enterprises in the EU
3. Guidelines for advance pricing agreements (APAs) in
OECD. Additional Guidance on the Attribution of Profits the EU
to a Permanent Establishment (OECD 2018) 4. Guidelines on low-value-adding intra-group services
Available from OECD: www.oecd.org 5. Potential approaches to non-EU triangular cases
6. Report on small and medium enterprises (SMEs)
OECD. Guidance on the Implementation of Country-by- and transfer pricing
Country Reporting (OECD 2018) 7. Report on cost contribution arrangements on
Available from OECD: www.oecd.org services not creating intangible property
8. Report on secondary adjustments
OECD. Guidance on the Appropriate Use of Information 9. Report on transfer pricing risk management
Contained in CbC Reports (OECD 2018) 10. Report on compensating adjustments
Available from OECD: www.oecd.org 11. Report on the application of the profit split method
within the EU

ADIT 65
OECD BEPS page:
www.oecd.org/ctp/beps.htm

OECD Transfer Pricing page:


www.oecd.org/ctp/tp
Candidates should read documents relevant to the
syllabus within the “What’s New” and “Transfer Pricing
Projects” sections.

Pacific Association of Tax Administrators (PATA) Transfer


Pricing Documentation Package:
www.ustransferpricing.com/PATA_
transferpricingpackage.pdf

United Nations: www.un.org/esa/ffd


Candidates should read documents relevant to the
syllabus within the “Transfer Pricing” and “BEPS”
thematic areas.

66 ADIT
MODULE 3.04 -
ENERGY RESOURCES OPTION
I Fundamental tax issues 5%
II Tax and fiscal regimes 15%
III Country tax examples 10%
IV Permanent establishments 10%
V Technical services 10%
VI Mergers and acquisitions 5%
VII Intellectual Property (IP) 5%
VIII Leasing 5%
IX Financing 5%
X Profit repatriation 5%
XI Trading 5%
XII Transfer pricing 5%
XIII Governance of natural energy resources 5%
XIV Arbitration of disputes 5%
XV Tax issues relating to decommissioning of assets 5%

I Fundamental tax issues

A International investment 1
B International income flows 1
C Tax treaties 2
D Transfer pricing 2

II Tax and fiscal regimes

A Licence and concession regimes 3


B Production sharing contracts (PSCs) 3
C Service contracts 2
D Royalties 2
E Indirect taxes, including VAT and qualifying for exemptions 2
F Deferred tax accounting issues 1
G Carbon pricing 2

III Country tax examples

A Angola 1
B Brazil 1
C Indonesia 1
D Iraq, technical service contracts (TSCs), and development and production service contracts (DPSCs) 1
E Nigeria 1
F Norway 1
G United Kingdom 2
H United States (federal taxation) 2
I United States (state taxation generally, includes focus on Texas and Alaska) 1
ADIT 67
IV Permanent establishments

A Permanent establishments and tax treaties 2


B Operating companies 2
C Service companies 2

V Technical services

A Technical services background 2


B Structuring technical service operations 2
C Interaction with PSCs and joint operating agreements 3
D Withholding tax and related planning 3

VI Mergers and acquisitions

A Acquire target assets or target company shares 2


B Interest deductions and debt push down 2
C Depreciation and asset step up 2
D Carry-forward tax losses 2
E Sale and purchase agreements 3
F Cost carry deals 3
G Tax due diligence 3

VII Intellectual Property (IP)

A IP in natural energy resources 2


B Royalties 2
C Transfers of IP 2
D Group IP companies 2

VIII Leasing

A Operating leasing 2
B Leasing and tax treaties 1
C Sale and leaseback 1
D Group leasing companies 1

IX Financing

A Group treasury companies and in-house banking 2


B Thin capitalisation 1
C Controlled foreign corporations 1
D Hybrid entities and hybrid securities 1

X Profit repatriation

A Subsidiaries and dividends 2


B Subsidiaries and deductible expenses 1
C Branches and profit repatriation 1
D Branches and allocation of related company expenses 2

68 ADIT
XI Trading

A Group trading company 2


B Planning structures 1
C Derivatives, including options, forwards and swaps 1

XII Transfer pricing

A Transfer pricing methods and advance pricing agreements (APAs) 2


B Commodity pricing 2
C Exploration services and drilling 1
D Financial and environmental guarantees 2
E Transfer pricing and procurement 2
F Transfer pricing and trading 3
G Intellectual property 2
H Services and administration 2
I Group financing 2

XIII Governance of natural energy resources

A Definition and characteristics of the types of natural energy resource governance


1. Proprietorial regime 1
2. Non-proprietorial regime 1
B The link between international agreements and different types of natural resource governance 2
C The effects of using certain types of governance on government tax receipts 2

XIV Arbitration of disputes

A The use of arbitration by natural energy resource companies 2


B Bilateral investment treaties and the Energy Charter Treaty 2
C Arbitration clauses in contracts 1

XV Tax issues relating to decommissioning of assets

A International legal regulations and obligations regarding decommissioning of structures 2


B Tax treatment of decommissioning costs in merger and acquisition 2
C UK decommissioning tax relief 2

ADIT 69
RECOMMENDED
READING LIST
Permitted Texts Van Raad, K. Materials on International, TP and EU Tax
Law 2020-2021. Volume A (Leiden: International Tax
Candidates may take a copy of the following texts only Centre, 2020) [ISBN: 9789082585452]
into the examination: Candidates with a pre-2016 edition may instead take
Volume 1 of the earlier edition into the examination.
Abdo, H. Taxation of UK Oil and Gas Production: a Available from the International Tax Centre at Leiden
Non-Proprietorial Regime? (Oxford: Lambert Academic University:
Publishing, 2010) [ISBN: 9783843375917] www.itc-leiden.nl or [email protected]
Available from Amazon: www.amazon.com Or available from Wildy & Sons: www.wildy.com

Abrahamson, J. Tolley’s International Taxation of No other texts may be taken into the examination.
Upstream Oil and Gas (LexisNexis, 3rd edition, 2021)
[ISBN: 9780754558118]
Available from LexisNexis: www.lexisnexis.co.uk Essential Reading
(Discount available for registered ADIT students; to
access the discount, please click here.) Angola. Model Production Sharing Agreement (1969)
Available from EI Source Book:
Amereller, F., Jäger, S. and Al-Janabi, A. Legal Guide www.eisourcebook.org/cms/Angolan%20
to Doing Business in Iraq (Munich: Amereller Production%20Sharing%20Agreement.pdf
Rechtsanwälte, 6th edition, 2014)
Available from Amereller: Calder, J. Administering Fiscal Regimes for Extractive
www.amereller.com Industries: A Handbook (IMF, 2014) [ISBN:
9781475575170]
Mommer, B. Global Oil and the Nation State (Oxford: Available from the IMF eLibrary: www.elibrary.imf.org
Oxford University Press, 2002) [ISBN: 9780197300282]
Available from Amazon: www.amazon.com Deloitte. Oil and Gas Taxation in the UK: Deloitte
Taxation and Investment Guides (London: Deloitte,
Nakhle, C. Petroleum Taxation: Sharing the Oil Wealth 2013), pp. 3-6
(London: Routledge, 2008) [ISBN: 9780415541909] Available from Deloitte:
Available from Routledge: www.routledge.com/books www2.deloitte.com/content/dam/deloitte/global/
documents/energy-and-resources/dttl-er-uk-oilandgas-
OECD, Committee on Fiscal Affairs. Model Tax guide.pdf
Convention on Income and on Capital (Paris: OECD,
2017) [ISBN: 9789264287945] and accompanying EY. 2019 Global Oil and Gas Tax Guide (London: EY,
Commentary 2019)
Available from the OECD: www.oecd-ilibrary.org Available from EY:
Or available from Turpin Distribution: www.ey.com/en_gl/tax-guides/global-oil-and-gas-tax-
ebiz.turpin-distribution.com guide-2019

OECD, Committee on Fiscal Affairs. Transfer Pricing HMRC. Oil and Gas Companies: Tax Relief for
Guidelines for Multinational Enterprises and Tax Decommissioning Expenditure (London: HMRC, 2016)
Administrations (Paris: OECD, 2017) Available from HMRC:
[ISBN: 9789264262737] www.gov.uk/government/publications/oil-and-
Available from the OECD: www.oecd-ilibrary.org gas-companies-tax-relief-for-decommissioning-
Or available from Turpin Distribution: expenditure/oil-and-gas-companies-tax-relief-for-
ebiz.turpin-distribution.com decommissioning-expenditure

70 ADIT
Indonesian Ministry of Energy and Mineral Resources Daniel, P., Keen, M. and McPherson, C. (eds). The
(MEMR). Regulation No. 8 of 2017 regarding the Taxation of Petroleum and Minerals (London:
Gross Split for Production Sharing Contracts (MEMR Routledge, 2010) [ISBN: 9780415569217]
Regulation 8/2017) Available from Routledge: www.routledge.com/books
Available from the Indonesian Petroleum Association:
www.ipa.or.id/assets/images/news/20170119%20 EY. EY Worldwide Transfer Pricing Reference Guide
ipa%20-%20permen%2008%202017%20original_ 2019-2020 (EY, 2020)
eng%20final.pdf Available from EY:
www.ey.com/en_gl/tax-guides/worldwide-transfer-
Iraq. Model Producing Oil Field Technical Service pricing-reference-guide-2020
Contract (2009)
Available from Platform: EY. US GAAP vs. IFRS – The Basics: Oil and Gas (London:
http://platformlondon.org/documents/pftsc-23-apr-09. EY, 2016)
pdf Available from EY:
www.ey.com.au/ul/en/accountinglink/publications-
World Bank. Carbon Pricing Dashboard (World Bank, library-us-gaap-vs--ifrs--the-basics
2021)
Available from the World Bank: IMF. Fiscal Regimes for Extractive Industries: Design and
https://carbonpricingdashboard.worldbank.org/what- Implementation (IMF, 2012)
carbon-pricing Available from the IMF:
www.imf.org/external/np/pp/eng/2012/081512.pdf

Other Relevant Reading Johnston, D. and Johnston, D. “Fundamental petroleum


fiscal considerations”, in Oxford Energy Comment
Abdo, H. “Investigating the effectiveness of different (February 2015)
forms of mineral resources governance in meeting the Available from the Oxford Institute for Energy Studies:
objectives of the UK petroleum fiscal regime”, in Energy www.oxfordenergy.org/wpcms/wp-content/
Policy (2014, Volume 65, p.48) uploads/2015/02/Fundamental-Petroleum-Fiscal-
Available at ScienceDirect: Considerations.pdf
www.sciencedirect.com/science/journal/03014215/65
Kobetsky, M. International Taxation of Permanent
Andah, E. and Ike, C. “Nigeria - Value Added Tax and the Establishments: Principles and Policy (Cambridge
Oil and Gas Industry in Nigeria”, in International VAT University Press, 2011) [ISBN: 9780511977855]
Monitor (2017, Volume 28:1) Available from Cambridge University Press:
Available from IBFD: www.cambridge.org/gb/academic
www.ibfd.org/IBFD-Products/Journal-Articles/
International-VAT-Monitor/collections/ivm/html/ OECD, Committee on Fiscal Affairs. OECD/G20 Base
ivm_2017_01_ng_1.html Erosion and Profit Shifting Project 2015 Final Reports.
Action 13 (Paris: OECD, 2015) [ISBN: 9789264241466]
Blyschak, P. “Arbitrating overseas oil and gas disputes: Available from Turpin Distribution:
breaches of contract versus breaches of treaty”, in ebiz.turpin-distribution.com
Journal of International Arbitration (2010, Volume 27:6)
Available from Kluwer Law Online: OECD, Multilateral Convention to Implement Tax Treaty
www.kluwerlawonline.com Related Measures to Prevent Base Erosion and Profit
Shifting (OECD, 2016)
Available from OECD: www.oecd.org

ADIT 71
PwC. Financial Reporting in the Oil and Gas Industry:
International Financial Reporting Standards (London:
PwC, 2017)
Available from PwC:
www.pwc.com/gx/en/services/audit-assurance/
assets/pwc-financial-reporting-in-the-oil-and-gas-
industry-2017.pdf

Samuelsen, J. A Guide to Norwegian Petroleum Taxation


(Oslo: KPMG, 2011) [ISBN: 9788292222096]
Available from KPMG:
www.kpmglaw.no/artikkel/a-guide-to-norwegian-
petroleum-taxation

United Nations. United Nations Handbook on


Selected Issues for Taxation of the Extractive
Industries by Developing Countries (UN, 2017) [ISBN:
9789210478472]
Available from the UN:
www.un.org/esa/ffd/wp-content/uploads/2018/05/
Extractives-Handbook_2017.pdf

United Nations. United Nations Handbook on Carbon


Taxation for Developing Countries. Chapter 3 (UN, 2021)
Available from the UN:
www.un.org/development/desa/financing/sites/www.
un.org.development.desa.financing/files/2020-11/
Chapter%203_Design_UN%20CarbonTax%20Handbook.
pdf

Wälde, T. “Arbitration in the oil, gas and energy


field: emerging energy charter treaty practice”, in
Transnational Dispute Management (2004, Volume 1:2)
Available from Transnational Dispute Management:
www.transnational-dispute-management.com

Wälde, T. “Oil and gas arbitration: some historical


background and current significance”, in Transnational
Dispute Management (2006, Volume 3:5)
Available from Transnational Dispute Management:
www.transnational-dispute-management.com

72 ADIT
MODULE 3.05 -
BANKING OPTION
I Fundamental tax issues 10%
II Tax implications of bank operating models and capital/funding allocations 20%
III Tax implications for banking activities 20%
IV Transaction taxes and withholding taxes 20%
V Bank levy 5%
VI Client tax reporting 20%
VII The OECD context 5%

I Fundamental tax issues

A Residence 1
B Permanent establishments 1
C Beneficial ownership and withholding tax 1
D Double tax relief 1
E Transfer Pricing and thin capitalisation 1
F General Anti-Abuse Rule (GAAR) 1

II Tax implications of bank operating models and capital/funding allocations

A Tax considerations for using different operating models (e.g. representative offices, branches,
subsidiaries) 3
B OECD guidelines for attribution of profits to branches, with specific reference to the guidelines for
banking and financial trading business, and related bank internal derivatives 3
C Tax considerations for the treatment of different types of capital instrument, e.g. Common Equity Tier
One, Alternative Tier One, Tier Two, and hybrid capital 2
D Attribution of capital to banking branches 2

III Tax implications for banking activities

A Global developments in banking taxation code of conduct and tax transparency; UK Code of Conduct
for Banks; Australian Tax Transparency Code for Large Businesses 3
B Cross-border tax considerations when loan assets are originated, transferred between entities or
branches within a banking group, restructured (e.g. non-performing loans). Tax considerations for the
change of domicile by borrowers, or the cross-border sale of loan assets between creditors 2
C LMA documentation and tax clauses. Sub-participation and risk sharing within a banking group. Intra-
group guarantees 2
D Securitisation of assets (e.g. UK securitisation company regime) 1
E Tax representations in ISDA Master Agreement 2
F Cross-border tax considerations when functions are moved between branches/entities within a
banking group 2

ADIT 73
IV Transaction taxes and withholding taxes

A Proposed European Financial Transaction Tax; extra-territorial impact of Italian Financial Transaction
Tax and French Financial Transaction Tax 3
B Application of Stamp Duty and SDRT to on and off-exchange securities transactions in London and
Hong Kong markets 2
C Withholding Tax on distributions and capital gains for fixed income, cash equities, listed and OTC
derivatives, ETNs & ETFs, cash and non-cash collateral, repo and Reverse-repo, stock lending and
borrowing 3
D US Chapter 3 Withholding on Non-Resident Aliens including IRS Qualified Intermediary Agreement
and Qualified Derivative Dealer regime 3
E VAT/GST, including partial exemption 2
F Cryptocurrency, initial coin offering, asset tokenisation and the secondary market 2

V Bank levy

A UK bank levy 2
B Overview of bank levies in other significant territories (France, Germany, South Korea) 2

VI Client tax reporting

A FATCA; Common Reporting Standard (CRS); Directive Administrative Co-operation – 2011/16/EU


(DAC2 – 2014/107/EU) 3
B. UK Corporate Criminal Offences for failing to prevent criminal facilitation of tax evasion (Criminal
Finances Act 2017, Part 3); Mandatory Disclosure Regime – 2011/16/EU (DAC6 – 2018/822/EU);
OECD, Model Mandatory Disclosure Rules for CRS Avoidance and Opaque Offshore Structures 3

VII The OECD context

A The OECD’s Base Erosion and Profit Shifting (BEPS) Project 1

74 ADIT
RECOMMENDED
READING LIST
Permitted Texts GOV.UK. The Code of Practice on Taxation for Banks
(GOV.UK, 2014)
Candidates may take a copy of the following texts only Available from GOV.UK:
into the examination: www.gov.uk/government/collections/the-code-of-
practice-on-taxation-for-banks
OECD. Additional Guidance on the Attribution of Profits
to Permanent Establishments, BEPS Action 7 (Paris: HMRC. Stamp Taxes on Shares Manual (HMRC 2016)
OECD, 2018) Available from HMRC:
Available from the OECD: www.oecd.org www.gov.uk/hmrc-internal-manuals/stamp-taxes-
shares-manual
OECD, Committee on Fiscal Affairs. Model Tax
Convention on Income and on Capital: Condensed Hong Kong. Cap 117, Stamp Ordinance (Hong Kong,
Version 2017 (Paris: OECD, 2017) 2018)
Available from the OECD: www.oecd-ilibrary.org Available from Hong Kong eLegislation:
Or available from Turpin Distribution: www.elegislation.gov.hk/hk/cap117
ebiz.turpin-distribution.com
ISDA. 2002 Master Agreement (ISDA, 2002)
Both available in the following publication: Available from ISDA:
Van Raad, K. Materials on International, TP and EU Tax www.isda.org/book/2002-isda-master-agreement-
Law 2020-2021. Volume A (Leiden: International Tax english
Centre, 2020) [ISBN: 9789082585452]
Available from the International Tax Centre at Leiden ISDA. 2012 FATCA Protocol (ISDA, 2012)
University: Available from ISDA:
www.itc-leiden.nl or [email protected] www.isda.org/protocol/isda-2012-fatca-protocol
Or available from Wildy & Sons: www.wildy.com
ISDA. 2015 Section 871m Protocol (ISDA, 2015)
No other texts may be taken into the examination. Available from ISDA:
www.isda.org/protocol/isda-2015-section-871m-
protocol
Essential Reading
OECD. Action Plan on Base Erosion and Profit Shifting
Association Francaise des Marches Financiers. French (Paris: OECD, 2013) [ISBN: 9789264202702]
Financial Transaction Tax FFTT Guidelines (AMAFI, Available from the OECD: www.oecd-ilibrary.org
2017)
Available from AMAFI: OECD. Addressing Tax Risks Involving Bank Losses (Paris:
www.amafi.fr/download/pages/ OECD, 2010) [ISBN 9789264088672]
dH8FTYCgpiPHWf0MYpep7odCfhESpPAZSUclCT3E.pdf Available from the OECD:
www.oecd.org/tax/aggressive/46023583.pdf
Australian Tax Office. Voluntary Tax Transparency Code
(ATO, 2016) OECD. Base Erosion and Profit Shifting Project, 2015
Available from the Australian Tax Office: Final Reports: Executive Summaries (Paris: OECD, 2015)
www.ato.gov.au/Business/Large-business/In-detail/ Available from the OECD: www.oecd.org
Tax-transparency/Voluntary-Tax-Transparency-Code
OECD. Base Erosion and Profit Shifting (BEPS), 2015
Council Directive 2014/107/EU and administrative Final Reports: Action 4, Limiting Base Erosion Involving
cooperation in (direct) taxation in the EU Interest Deductions and Other Financial Payments
Available from the European Commission: (Paris: OECD, 2015)
https://ec.europa.eu Available from the OECD: www.oecd.org

ADIT 75
OECD. Base Erosion and Profit Shifting (BEPS), OECD, Committee on Fiscal Affairs. Transfer Pricing
Public Discussion Draft: BEPS Actions 8-10, Financial Guidelines for Multinational Enterprises and
Transactions (Paris: OECD, 2018) Tax Administrations (Paris: OECD, 2017) [ISBN:
Available from the OECD: 9789264262737]
www.oecd.org/tax/beps/BEPS-actions-8-10-transfer- Available from the OECD:
pricing-financial-transactions-discussion-draft-2018.pdf www.oecd-ilibrary.org
Or available from Turpin Distribution:
OECD. The Conditions for Establishment of Subsidiaries ebiz.turpin-distribution.com
and Branches in the Provision of Banking Services by
Non-Resident Institutions (Paris: OECD, 2017) PwC. Financial Transaction Taxes: Basic Materials on
Available from the OECD the Italian, the French and the European Model of a
www.oecd.org/daf/fin/financial-markets/conditions- Financial Transaction Tax (PwC, 2014)
for-establishment-in-the-provision-of-banking-services. Available from PwC:
pdf www.pwc.com/gx/en/financial-services/financial-
transaction-taxes/assets/pwc-financial-transaction-
OECD. Co-operative Tax Compliance: Building Better Tax taxes.pdf
Control Frameworks (Paris: OECD, 2016)
Available from the OECD: US IRS. Notice 2016-76 on Enforcement and
www.oecd.org/publications/co-operative-tax- Administration of Section 871(m) and Related
compliance-9789264253384-en.htm Withholding Provisions During the Phase-In Period (US
IRS, 2016)
OECD. International Compliance Assurance Programme Available from the IRS:
Pilot Handbook 2.0 (Paris: OECD, 2019) www.irs.gov/pub/irs-drop/n-16n76.pdf
Available from the OECD:
www.oecd.org/ctp/international-compliance- US IRS. Notice 2017-42 on Extension of the Phase-In
assurance-programme-pilot-handbook-20.htm Period for the Enforcement and Administration of
Section 871(m) (US IRS, 2017)
OECD. Report on the Attribution of Profits to Permanent Available from the IRS:
Establishments (Paris: OECD, 2010) www.irs.gov/pub/irs-drop/n-17-42.pdf
Available from the OECD:
www.oecd.org/tax/transfer-pricing/45689524.pdf US IRS. Notice 2018-72 on Extensions of Phase-In,
Transition Rules under Section 871(m) (US IRS, 2018)
OECD. Standard for Automatic Exchange of Financial Available from the IRS:
Account Information in Tax Matters (Paris: OECD, 2nd www.irs.gov/pub/irs-drop/n-18-72.pdf
edition, 2017)
Available from the OECD: US IRS. REG-105476-18 on Withholding of Tax and
www.oecd.org/tax/exchange-of-tax-information/ Information Reporting with Respect to Interests in
standard-for-automatic-exchange-of-financial- Partnerships Engaged in the Conduct of a US Trade or
account-information-in-tax-matters-second-edition- Business. [Notice of proposed rule-making] (US IRS,
9789264267992-en.htm 2019)
Available from the IRS:
OECD, Committee on Fiscal Affairs. Transfer Pricing www.federalregister.gov/documents/2019/05/13/2019-
Guidance on Financial Transactions: Inclusive 09515/withholding-of-tax-and-information-reporting-
Framework on BEPS. Actions 4, 8-10 (Paris: OECD, 2020) with-respect-to-interests-in-partnerships-engaged-in
Available from the OECD: www.oecd-ilibrary.org
Or available from Turpin Distribution: US IRS. Revenue Procedure 2017-15 on Qualified
ebiz.turpin-distribution.com Intermediary Agreements (US IRS, 2017)
Available from the IRS:
www.irs.gov/pub/irs-drop/rp-17-15.pdf

76 ADIT
US IRS. Treasury Decision 9815 (US IRS, 2017) Other Relevant Reading
Available from the IRS:
www.irs.gov/irb/2017-09_IRB Chang, J. et al. Butterworths Hong Kong Stamp Duty
Handbook (London: LexisNexis, 2nd edition, 2020)
US Treasury. Foreign Account Tax Compliance Act [ISBN: 9789888683192]
(FATCA), Model Intergovernmental Agreements (US Available from LexisNexis: www.lexisnexis.com.hk
Treasury)
Available from the US Treasury: De Mooij, R. Tax Biases to Debt Finance: Assessing the
www.treasury.gov/resource-center/tax-policy/treaties/ Problem, Finding Solutions (Washington DC: IMF, 2011)
Pages/FATCA.aspx Available from the IMF: www.imf.org

US Treasury. US Treasury Regulations, Sections 1.1441-0 Dixon, J. and Finney, M. Tolley’s International Corporate
through 1.1446-7 and Sections 1.1471-0 through Tax Planning (London: LexisNexis, 2002) [ISBN:
1.1474-7 (US Treasury) 9780754513391]
Available from the US Government Publishing Office: Available from Wildy & Sons: www.wildy.com
www.gpo.gov
Heckemeyer, J. and De Mooij, R. Taxes and Corporate
US Treasury. US Treasury Regulations, Section 1.871-15 Debt: Are Banks any Different? (Washington DC, 2013)
(US Treasury) Available from the IMF:
Available from the US Government Publishing Office: www.imf.org/external/pubs/ft/wp/2013/wp13221.pdf
www.gpo.gov
IFA. “Withholding tax in the era of BEPS, CIVs and digital
economy”, in Cahiers De Droit (2018, Volume 103b)
Textbooks Available from SDU:
www.sdu.nl/juridisch/producten-diensten/ifa/103b
Abrahamson, J. International Taxation of Banking
(Wolters Kluwer, 2020) [ISBN: 9789403510941] IRS. FATCA FAQs (IRS, 2017)
Available from Wolters Kluwer: Available from the IRS:
https://lrus.wolterskluwer.com/store www.irs.gov/businesses/corporations/frequently-
asked-questions-faqs-fatca-compliance-legal
Oats, L. Principles of International Taxation (Bloomsbury
Professional, 8th edition, 2021) [ISBN: 9781526519559] Kobetsky, M. International Taxation of Permanent
Available from Bloomsbury Professional: Establishments: Principles and Policy (Cambridge
www.bloomsburyprofessional.com University Press, 2011) [ISBN: 9780511977855]
Available from Cambridge University Press:
www.cambridge.org
Cases
McGill, R. Investment Withholding Tax Best Practice and
• ConocoPhillips Skandinavia AS and Norske Strategies for Intermediaries and Investors (Palgrave
ConocoPhillips AS v Ojeskattekontoret, 2010 Macmillan, 2009) [ISBN: 9780230221628]
• General Electric Capital Canada Inc (GE Capital Available from AbeBooks: www.abebooks.co.uk
Canada) v The Queen, Tax Court of Canada, 2009
Miller, E. and Usher, G. Commentary on the ISDA Master
• Portuguese Arbitration Tax Court Decision, 2012 Agreements (Field Fisher, 2008)
• Bombardier v Danish National Tribunal, 2014 Available from Field Fisher:
www.fieldfisher.com/en/insights/commentary-on-the-
isda-master-agreements

ADIT 77
OECD, Committee on Fiscal Affairs. Model Tax
Convention on Income and on Capital (Paris: OECD,
2017) [ISBN: 9789264287945]
Available from the OECD:
www.oecd-ilibrary.org
Or available from Turpin Distribution:
ebiz.turpin-distribution.com

OECD. CRS-related FAQs (OECD, 2018)


Available from the OECD:
www.oecd.org/tax/automatic-exchange/common-
reporting-standard/CRS-related-FAQs.pdf

OECD. Standard for Automatic Exchange of Financial


Information in Tax Matters: Implementation Handbook
(Paris: OECD, 2nd edition, 2018)
Available from the OECD:
www.oecd.org/tax/exchange-of-tax-information/
implementation-handbook-standard-for-automatic-
exchange-of-financial-information-in-tax-matters.pdf

Russo, R., Finnerty, C., Merks, P. and Pettricione, M.


Fundamentals of International Tax Planning (IBFD,
2007) [ISBN: 9789087220167]
Available from IBFD: www.ibfd.org

Saunders, R. International Tax Systems and Planning


Techniques 2011-2012 (London: Sweet & Maxwell,
2011) [ISBN: 9780414022683]
Available from Sweet & Maxwell:
www.sweetandmaxwell.co.uk
Or available from Wildy & Sons: www.wildy.com

Wright, S. The Handbook of International Loan


Documentation: Global Financial Markets (Palgrave
Macmillan, 2nd edition, 2014) [ISBN: 9781137467584]
Available from Amazon: www.amazon.co.uk

78 ADIT
EXTENDED ESSAY OPTION
RULES
ADIT candidates may submit a 15,000-20,000 word extended essay, instead of sitting either a Module 2 or Module
3 exam.
1. Candidates must first submit a proposal using the extended essay proposal form, available at
www.tax.org.uk/adit/extended-essay. The proposal must include:
• a working title; and
• a brief synopsis of your topic, approximately 250 words in length and outlining the scope and planned
objectives of your proposed extended essay.
2. Approval of the extended essay proposal is at the sole discretion of the ADIT Academic Board.
3. The proposal must be accompanied by a registration fee, currently £200, which will be collected only if the
proposal is approved. ADIT fees are subject to annual review and may change over time.
4. Registration is valid for three years from the date of notification of approval by the Academic Board. Subject to
the approval of the Academic Board, an extended essay proposal may be changed within the three-year period
without a further fee being charged. However, candidates are recommended to submit their extended essay
within two years of approval in order to maintain the momentum of attaining the qualification.
5. If the candidate has chosen to submit an extended essay instead of sitting a Module 2 examination, the subject
matter of the extended essay must be related to international tax from the perspective of a particular tax
jurisdiction. Extended essays dealing with matters of international or supranational tax policy are acceptable,
so long as the effects on and/or relationship with the chosen jurisdiction are included. Likewise, extended
essays which carry out comparative studies of the chosen jurisdiction with those of other jurisdictions are
acceptable.
6. If the candidate has chosen to submit an extended essay instead of sitting a Module 3 examination, the subject
matter of the extended essay must be related to some aspect of international tax as it affects a specific sector,
area of taxation or transnational grouping or supranational entity such as the World Trade Organisation or the
European Union.
7. The tax jurisdiction or subject area covered by the extended essay must differ from that of the Module 2 or
Module 3 exam selected by the candidate for the remaining option module. For example, if you plan to sit
the Module 3.03 Transfer Pricing exam, your extended essay should cover a subject area other than transfer
pricing, and if you plan to sit the Module 2.10 United States exam, your extended essay should cover a
jurisdiction other than the United States. If you plan to sit a Module 2 exam and complete a comparative study
in your extended essay, then your extended essay may include the jurisdiction addressed by your Module 2
exam but will also need to focus on at least one other jurisdiction.
8. Further guidance regarding the subject matter of the extended essay is given in the Extended Essay Guidance
Notes on the following pages. Where appropriate (e.g. in an extended essay which takes an aspect of a tax
system as its subject and which draws on the author’s practical experience), adequate consideration should
be given to the commercial and legal background to the topic so that such matters as company law, trust law,
contract law and generally accepted accounting principles are discussed where relevant.
9. The extended essay must be personal to the candidate. This means that it must contain the candidate’s
original analysis of the issues under consideration.
10. The extended essay must be fully referenced. This means that all books, articles and other sources (including
in-house technical materials) used must be cited in the text by way of footnote. Where quotations are used,
these should be clearly identified as such and properly referenced. A full bibliography should be provided.

ADIT 79
11. The extended essay should normally be between 15,000 and 20,000 words and must be submitted in English.
12. The extended essay should be presented in accordance with the instructions in the Extended Essay Guidance
Notes regarding page layout, margins and spacing. The candidate’s extended essay reference number should
be clearly marked on the outer cover, but there should be no mention of the candidate’s name or ADIT
student number either on the cover or elsewhere in the work.
13. One electronic softcopy must be submitted to the CIOT. The essay must be accompanied by a completed
Extended Essay Declaration Form, confirming that the extended essay has been completed in accordance with
the Extended Essay Rules, and that the extended essay is the candidate’s own work.
14. Extended essays will be reviewed as quickly as possible, normally within four months, but the Academic Board
reserves the right to take such time as may be needed to complete its review.
15. In cases of failure to reach the required standard, the Academic Board will provide a short report to the
candidate outlining the principal areas of deficiency. The report will indicate whether a revised submission
making good the deficiencies identified will be permitted. The decision of the Academic Board is final.
16. By submitting an extended essay to the Academic Board, candidates grant the CIOT a non-exclusive, royalty
free licence to publish it in whole or in part in Tax Adviser (the CIOT’s monthly and online journal), on the
CIOT website, and/or otherwise, if the extended essay is approved. The CIOT also reserves the right to make
available any extended essay which has been approved for reading or photocopying. Any application for the
CIOT to waive these rights must be made at the time of submission and will be judged on its own merits, with
the decision of the CIOT being final. Copyright will remain vested in the authoring candidate.
17. The John Avery Jones Extended Essay Prize may, at the discretion of the Academic Board, be awarded to the
candidate who, in the sole opinion of the Academic Board, achieves the highest standard in any calendar year.
18. The Academic Board reserves the right to amend the rules regarding extended essays at any time, but the
rules applying at the date of the application for extended essay approval will remain valid throughout the
period of registration.
19. Any candidate submitting an ADIT extended essay must hold a valid ADIT student registration at the time of
submission.
20. ADIT extended essay passes are valid for five years from the date on which the pass is awarded.

80 ADIT
EXTENDED ESSAY OPTION
GUIDANCE NOTES
Introduction
These guidance notes are intended to clarify the requirements for the presentation of your ADIT extended essay,
which are laid down in the Extended Essay Rules. They aim to indicate those matters for which extended essay
reviewers will be searching, to summarise the main faults commonly found in extended essays, and to list the steps
in approaching the preparation of an extended essay which the ADIT Academic Board considers will increase the
likelihood of your success.

Choosing a topic
The primary questions to address are:
“What aspect of international taxation really interests me, and does it provide sufficient scope for a 15,000-20,000
word extended essay?”
Extended essays may address an area of taxation in which you have considerable practical experience, be based
purely on academic research or be a mixture of the two.

Originality
A key requirement for success is that your extended essay contains a high degree of originality. The nature of
originality means that it is impossible to specify what constitutes it but, by way of illustration, originality may be
achieved in one or more of the following ways:
• By drawing on your own professional experience;
• By drawing together for the first time diverse sources of information on a particular topic, to present a
coherent and novel treatment of the subject; and
• By relating an aspect of taxation to wider legal, political, economic or ethical considerations in a way that has
not previously been done.
The key test that will be applied is whether or not the extended essay treats the chosen topic in a way not
previously published.
There is no bar to choosing topics on which ADIT extended essays have previously been submitted, provided the
foregoing guidelines are following.

The required extended essay standard


The extended essay should be of publishable quality, i.e. broadly equivalent to a dissertation for a master’s degree
at a UK university.

Plagiarism and academic bad practice


As an ADIT extended essay candidate, you are expected and required to adhere to a high standard of academic
practice. The CIOT takes offences such as plagiarism very seriously and, if judged to have engaged in academic bad
practice in the conduct of your extended essay, you may, in addition to receiving an automatic fail grade for the
ADIT extended essay, be subject to penalties including disqualification from the ADIT extended essay option and/or
ADIT and related CIOT examinations.

ADIT 81
While a distinction will always be made between accidental instances of misattribution (such as resulting from a
typing error or use of an unrecognised citing convention in a footnote), and deliberate attempts to pass someone
else’s work off as your own, you are strongly advised to double check that all uses of external sources are properly
and correctly referenced, with the author and text indicated in the footnotes and bibliography.
The CIOT reserves the right to use plagiarism checking software to screen extended essays for unattributed or
improperly attributed use of the work of others. By submitting an extended essay, you consent to the submission
of the text to plagiarism checking software. Processing by such software may involve inclusion of the text in the
software’s database. This does not affect ownership of or copyright in the extended essay, which remains with the
author.
Examples of external sources which need to be referenced include:
• Direct quotations;
• Arguments or conclusions from other authors which you have summarised or paraphrased;
• Extracts from external sources which you have reproduced or adapted anywhere in the extended essay (in
appendices as well as the main body of the work);
• Images or graphical depictions which you have reproduced or adapted anywhere in the extended essay (in
appendices as well as the main body of the work);
• Ideas which you have previously presented in an earlier work (however, this does not include an earlier
submission of the same extended essay, if the submission was in fulfilment of a university assessment or other
academic requirement); and
• Any external source which is in a language other than English. Many essays on international tax topics will
use foreign language primary and secondary source materials, and indeed your ability to review and analyse
foreign language materials may be a major advantage in researching a topic. However, the usual research and
citation standards apply. In particular, all citations to foreign language materials should include full citation
information in both English and the original language.
As a general rule of thumb, if you have depicted or referred to an idea, conclusion, quote or piece of data which
is not original to your extended essay, even if it is your own idea, conclusion, quote or piece of data from another
work, it should be referenced.
The Academic Board reserves the right to request copies of any cited material which it cannot easily obtain.

The importance of analytical content


It necessarily follows from the requirement for originality that a successful ADIT extended essay will contain a high
degree of analytical content. This must be distinguished from descriptive content. Whilst some descriptive content
will be necessary, for example to explain the current or previous legal position or practice, the analytical content
should provide, inter alia, commentary on (and critique of) the current or previous legal position or practice,
together with your own opinions (and recommendations, if appropriate). Extended essays consisting mainly of
descriptive content are less likely to succeed than ones with a high degree of analytical content. However, the
analytical content must not be achieved at the expense of thorough research into your subject matter.

Breadth versus depth


The requirement for a high degree of analytical content means that your extended essay is more likely to succeed
if it covers a narrow area in depth, rather than a broad area superficially. In other words, you are advised to limit

82 ADIT
the scope of your extended essay to a few specific sections of tax law. For instance, if you wish to write on taxation
in eastern European countries, you are advised to limit your extended essay either to one particular country or tax,
or both (e.g. VAT in Romania) or even to a particular aspect of a tax (e.g. VAT on e-commerce in eastern European
countries).
Your extended essay should involve a comprehensive treatment of your topic, meaning that all relevant aspects
need to be analysed, unless the extended essay topic has been carefully defined to exclude them. Where
appropriate, consideration of the relevant aspects of other areas of law or of accountancy should be included.

Technical accuracy
The Academic Board realises that some extended essays will be written about contentious areas or provisions. The
Academic Board believes that there should always be room for a divergence of views as to the interpretation of
statutes and case law,, and it wishes to encourage discussion of the meaning of the law. You should therefore not
hesitate to discuss contentious points, but you will be expected to support any position you may take. Provided
your position is well reasoned, you will not be penalised if the reviewer happens to hold an opposing view.

Extended essays on tax planning issues


If your extended essay takes as its topic international issues in tax planning then it is important that the commercial
aspects of the planning points and practical considerations in their implementation are considered. Relevant
examples and illustrations would be expected, together with due consideration of the legal and, where relevant,
accounting considerations of the planning strategies being put forward.

Changes in the law during preparation of the extended essay


Your extended essay should state at the outset the date through which the relevant law is covered. In general,
if your extended essay deals with specific points of law that have changed since notification of approval of your
extended essay proposal, then the following guidelines apply:
• Changes should generally be fully dealt with in the body of the extended essay unless they are announced less
than three months prior to submission.
• Changes announced more than three months but less than one year before the submission date may either be
fully dealt with throughout the extended essay or acknowledged via the addition of a short chapter discussing
the impact of the changes on the subject matter of the extended essay.

Steps in researching and writing the extended essay


A good extended essay poses an interesting, focussed question and provides a reasoned answer to that question or
identifies a problem and proposes a solution to that problem.
Keeping in mind that researching and writing a law essay is a dialectical process, not a linear one, these are the
basic steps:
1. Choose a topic of interest both to yourself and potential readers. Know your target audience.
2. Narrow the scope of the topic down to a discrete issue that can be dealt with well in 15,000-20,000 words. You
should avoid being too broad and descriptive while at the same time avoid being so narrowly focussed as to be
unlikely to interest potential readers.
ADIT 83
3. Know and cite the existing literature relevant to your issue.
4. Make sure the structure of the extended essay follows the logic of the argument, and maintains the focus of
that argument throughout the essay.
5. Include your analysis and, where relevant, recommendations.

Collecting source materials


An ADIT extended essay is intended to be a work of scholarship and will require painstaking research into your
chosen area, encompassing some or all of legislation, case law, books, journal articles, professional publications,
websites, professional correspondence and files, and unpublished work such as university theses or dissertations,
and other ADIT extended essays. In any extended essay which addresses a more academic topic, it will usually be
appropriate to include a formal literature review so that the reader is aware of the volume and nature of materials
available which are relevant to the topic.
You may find that noting the specific source of an idea, argument or quotation when taking notes will save you
considerable time when writing up your essay.

Planning the structure of the extended essay


Whatever the topic of your extended essay you should write down, and keep in mind, the primary objective of your
extended essay. Perhaps there is a question on which you wish to reach a conclusion. Perhaps you are seeking to
perform a comparative study of an aspect of the tax system. Perhaps there is an assertion which you wish to try
and prove. Making a list of criteria to be used in answering the question, making the comparison or proving the
assertion will greatly assist in providing the extended essay with a logical and rational structure. For instance, if
making a comparative study between property taxes in two jurisdictions, what will be the points of comparison for
the analysis? Fairness? Simplicity? Effect on the housing market? Effect on business expansion?
Having done this, you should be in a position to outline your extended essay with chapter headings and
approximate word allocations, taking care to allocate sufficient time and space to descriptive and analytical
material and discussion. You should remember that it may be more appropriate to locate larger tracts of descriptive
material in appendices if they are relevant to the extended essay but do not contribute directly to the analysis.

Writing up
You may find it difficult to begin writing your extended essay. However, rest assured that, once started, candidates
often find it even more difficult to finish! This is a personal choice, but you may find it easier to start with
descriptive sections or by preparing practical or numerical examples rather than plunging straight into analysis.
You are strongly advised to discuss your extended essay with colleagues or other contacts with appropriate
knowledge of the subject matter, to have one or more of them read and critically review it and to arrange for a
colleague or contact to proofread your extended essay prior to submission.

Conclusions
A successful ADIT extended essay will contain well-argued conclusions which are supported by preceding analysis
and descriptive materials. The conclusions should form a substantial part of the extended essay, rather than being
confined to a few sentences at the end.
84 ADIT
Presentation
The title of your extended essay and the extended essay reference number, assigned on approval of the extended
essay, must be on the front cover. Your name and ADIT student number should not appear anywhere on the
extended essay, and you should ensure that you have deleted any personal information associated with the file.
The extended essay must be typed using Times Roman, Arial, Calibri or similar easily readable typeface, in 12 point
font size.
The text should be double spaced. Page margins should be as follows:
• Left (binding edge): 40 mm
• Other margins: 25 mm

Page numbering and table of contents


Pages must be numbered in a single sequence throughout your extended essay. Page numbers should be located
within the page footer, at least 15 mm from the edge of the page.
A table of contents should appear at the front of the extended essay, immediately following the title page. It should
list, in sequence and with page numbers, all chapters, sections and relevant subsections of the extended essay; the
bibliography; and any additional items included, such as appendices and any list of abbreviations.

Acknowledgements
Any acknowledgements should be given on the page immediately following the table of contents.

Referencing
A recognised referencing system should be used. In keeping with generally accepted practice in legal writing,
this should be a full footnote citation system such as the Oxford Standard for the Citation of Legal Authorities
(OSCOLA). Guides to and examples of OSCOLA and other full footnote citation systems are widely available, online
and in print. Suitable modifications may be made for foreign language material and other material not sufficiently
addressed by the citation system, as long as any such citations are consistent with the citation system.
In the context of the ADIT extended essay, the purpose of citation is two-fold: to acknowledge the source of an
idea, an argument a quotation or other material and to make it easy for the reader to check the source, either
for accuracy or to read further. For these reasons, regardless of the referencing system used, a number of pieces
of information should be included in each reference, to ensure that the reference can be traced and avoid the
possibility of accidental misattribution or academic bad practice.

When citing a book, you should include:


• the full name(s) of the author(s);
• the title and edition of the work;
• the publisher and year of publication; and
• the page(s) from which the information is drawn.

ADIT 85
When citing a journal, you should include:
• the full name(s) of the author(s);
• the title of the article;
• the title, publication year, volume and issue number of the journal; and
• the page(s) from which the information is drawn.

When citing a legal case, piece of legislation or report, you should include:
• the full title (including the parties’ names in the case of legal cases);
• the year of judgment, effective date and/or publication date;
• the volume, law or report number (if there is one);
• the judge or author, where relevant; and
• the page(s) or section(s) from which the information is drawn.

When citing a webpage, you should include:


• the name of the authoring individual(s) or organisation;
• the title of the website and article;
• the full web address (URL); and
• the date on which the information was published (if available) and the date on which the webpage was
viewed.

Bibliography
ADIT extended essays should contain a full bibliography. Your bibliography should list references in alphabetical
order by authors’ last names. Where more than one publication by the same author has been used, the
publications should be listed in chronological order with the oldest item first. The bibliography may be divided into
sections (e.g. books, journal articles, websites, etc).

Submitting your essay


As detailed in the Rules (Rule 13), you must submit one electronic softcopy of your extended essay. The essay
should be sent to [email protected] in either MS Word (.doc or .docx) or PDF format.
Your essay must be accompanied by a completed Extended Essay Declaration Form, confirming that your essay
has been completed in accordance with the Extended Essay Rules, and that all sections of your essay are your own
work.

Find out more at


www.tax.org.uk/adit/extended-essay
86 ADIT
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ADIT 87
www.adit.org

For further information, or if you have


a question you would like to discuss,
please contact us:

+44 (0)20 7340 0550


[email protected]
www.adit.org

ADIT is accredited by the Chartered


Institute of Taxation. For more
information about the CIOT, please
visit www.tax.org.uk

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