Abstract
this article considers the decision of the Netherlands supreme Court of 22 December 2006, BNB 2007/97. The Netherlands supreme Court held that the employee's Residence State has the exclusive authority to tax a stand-by fee under Art. 15 of the Netherlands tax treaties that are based on the OECD Model Convention, provided that the employee is physically present in that State whilst he is on stand-by.
Original language | English |
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Pages (from-to) | 85-89 |
Number of pages | 5 |
Journal | European Taxation |
Volume | 48 |
Issue number | 2 |
Publication status | Published - 2008 |