Supplementary protocol to the 1970 Tax Convention with Belgium

message from the President of the United States transmitting the supplementary protocol, together with a related exchange of notes, signed at Washington on December 31, 1987, modifying and supplementing the Convention ... for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income, signed at Brussels on July 9, 1970 by Belgium

Publisher: U.S. G.P.O. in Washington

Written in English
Published: Downloads: 202
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Subjects:

  • Double taxation -- United States -- Treaties,
  • Double taxation -- Belgium -- Treaties,
  • Foreign tax credit -- United States,
  • Foreign tax credit -- Belgium

Edition Notes

SeriesTreaty doc -- no. 100-15
ContributionsUnited States. President (1981- : Reagan), United States. Congress. Senate. Committee on Foreign Relations, United States.
The Physical Object
Paginationvi, 6 p. ;
ID Numbers
Open LibraryOL14288013M

View and/or print full status report. Last update: VII Number of Contracting Parties to this Convention: 78 The expression “Contracting Party” covers both cases in which the Convention has, and cases in which the Convention has not yet, entered into force for that Party following the deposit of its instrument of ratification, accession, acceptance or approval (see column EIF in the. ii guadalajara supplementary convention, (supplementary provisions) convention, ii accommodation of crews convention, ii protocol to the convention on the prevention of marine pollution by dumping of .   Luxembourg signed an income tax treaty with Kazakhstan on June 26 th, and a protocol to such tax treaty on May 3 rd, (“Treaty”). The Treaty entered into force on December 11 th, and its provisions apply as from January 1 st, Income tax treaty with Denmark – Protocol regarding taxation of pension income. In in Beijing, the Protocol Supplementary to the Convention for the Suppression of Unlawful Seizure of Aircraft was adopted. The Protocol makes amendments and additions to the original convention. As September , the Protocol has been ratified by 27 states. It entered into force on 1 January See also. Beijing Convention.

  found in Belgium". It states that "[iln the matter ot'humanitarian law, the lawmaker's intention was thus to derogate from the principle of the ter- ritorial character of criminal law, in keeping witli the provisions of the four Geneva Converitions and of Protocol 1". It tiotes that "the Convention of 10 December agaiiist Torture and Other. Protocol amending the Convention between Belgium and Spain for the avoidance of double taxation and the prevention of fiscal evasion and tax fraud with respect to taxes on income and on capital, and the protocol, as amended. As of , there are parties to the United Nations Convention against Transnational Organized Crime, parties to the United Nations Protocol to Prevent, Suppress and Punish Trafficking in Persons, Especially Women and Children, and parties to the United Nations Protocol against the Smuggling of Migrants by Land, Sea and Air. OVERVIEW The proposed Protocol to amend the income tax Convention with Luxembourg (proposed Protocol) and the related agreement effected by exchange of notes were negotiated to bring the existing Convention, signed in (existing Convention), into closer conformity with current U.S. tax treaty policy regarding exchange of information.

  Convention of 31 January Supplementary to the Paris Convention of 29 July , as amended by the Additional Protocol of 28 January and by the Protocol of 16 November (Brussels Supplementary Convention); it entered into force in and the following countries are a party to the Brussels Convention: Belgium, Denmark, Finland. CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED STATES OF AMERICA AND THE GOVERNMENT OF THE KINGDOM OF BELGIUM FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME The Government of the United States of America and the Government of the K.   An overview of legal and practical considerations surrounding tax controversies in Belgium, including cooperation with authorities, taxpayer rights and court actions. Protocol amending tax convention with Luxembourg: message from the President of the United States transmitting Protocol Amending the Convention between the United States of America and the Government of the Grand Duchy of Luxembourg for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and Capital, signed on , .

Supplementary protocol to the 1970 Tax Convention with Belgium by Belgium Download PDF EPUB FB2

The convention. The existing income-tax convention of Octo with Belgium. as modified by supplementary conventions of September 9,and Augand by the protocol ofwould be terminated and replaced by the new convention upon the.

Add tags for "Protocol to the Tax Convention with Belgium: report of the Committee on Foreign Relations, United States Senate, on the supplementary protocol, together with a related exchange of notes, signed at Washington on Decemmodifying and supplementing the convention between the United States of America and the Kingdom of Belgium for the avoidance of.

3 The Convention between the Kingdom of Belgium and the Grand Duchy of Luxembourg for the avoidance of double taxation and for the settling of certain other questions with respect to taxes on income and capital, and the final protocol relating thereto, signed in Luxembourg on 17 Septemberas amended by the supplementary agreement signed.

Tax convention with Belgium [microform]: message from the President of the United States transmitting the Convention Between the Government of the United States of America and the Government of the Supplementary protocol to the 1970 Tax Convention with Belgium book of Belgium for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and accompanying protocol, signed on November.

The book begins with a high-level overview of the main tax issues that investors might face and a description of the Belgian tax rulings system. From a business perspective, the book sets out how tax rulings can support investors in establishing, operating or changing their business infrastructure in Belgium.

The book gives numerous examples of Pages: This article examines Belgium's tax treaty policy and the Draft Model Convention published in After describing Belgium's current tax treaty network and giving some general comments on the Belgian Model, the article analyses some of its provisions and compares them to.

15 Supplementary Protocol to the Tax Sep 22 88 Reported Convention with Belgium. favorably, with a resolution of advice and consent to ratification with understandings, by Mr.

Pell, Committee on Foreign Relations (Printed Report--Ex. Rept. According to the Swiss Federal Department of Finance the additional protocol to the Double Tax Treaty (‘DTT’) between Belgium and Switzerland, that has been signed on Ap has entered into force as of J and will generally apply as from January See list of Belgian tax treaties.

Belgium - Netherlands Income and Capital Tax Treaty () Art. See list of Belgian tax treaties. Denmark - Faroe Islands - Finland - Iceland - Norway - Sweden Income and Capital Tax Treaty (Nordic Convention) () Art.

I of the Protocol and Art. II of the Protocol. See list of Danish tax treaties. Following efforts led by Afghanistan, Belgium, Ghana and Ireland, the General Assem- bly decided, by resolution (XX) of 20 Decemberto establish the Programme of Assistance to contribute towards a better knowledge of international law as a means of strengthening interna.

Evasion with Respect to Taxes on Income, together with a supplementary protocol and exchange of notes, which you signed at Beijing on Ap The agreement is the first complete income tax treaty to be signed with the People's Republic of China.

Supplementary protocol to the Tax Convention with Belgium: message from the President of the United States transmitting the supplementary protocol, together with a related exchange of notes, signed at Washington on Decemmodifying and supplementing the Convention for the avoidance of double taxation and the prevention of.

UK/Belgium: Convention for the Avoidance of Double Taxation Ref: ISBNP 02/13Cm. PDF, KB, 19 pages Order a copy. Convention Between The Government Of The United States Of America And The Government Of The Kingdom Of Belgium For The Avoidance Of Double Taxation And The Prevention Of Fiscal Evasion With Respect To Taxes On Income: 07/11/ Belgium Protocol.

B elgium and United States of America first signed a double taxation treaty in and the treaty was completely revised in based on the OECD model as well as on the most recent treaties signed by both parties with other countries, in particular the U.S.

model tax treaty published in InBelgium and United States of America signed two further documents relating to. Desiring to redraft, taking into account the changes in the tax laws of the two States, the Convention and the Final Protocol signed at Brussels on 19 October between Belgium and Italy for the avoidance of double taxation and the regulation of certain other questions with respect to taxes.

Notes: 1. Signed on behalf of China by its representatives to the United Nations and UNESCO at the time of signature. China is an original Member of the United Nations, the Charter having been signed and ratified in its name, on 26 and 28 Septemberrespectively, by the Government of the Republic of China, which continuously represented China in the United Nations until 25 October Protocol amending the Convention for the Protection of Individuals with regard to Automatic Processing of Personal Data: 10/10/ E.

Signature: 10/10/ Council of Europe Convention on Cinematographic Co-Production (revised) 30/01/ 01/10/ E. Signature: 28/08/ Tax convention with Belgium: message from the President of the United States transmitting the Convention Between the Government of the United States of America and the Government of the Kingdom of Belgium for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and accompanying protocol, signed on Novemat Brussels.

TAX ARRANGEMENTS FOR FRONTIER WORKERS: AGREEMENTS: Luxembourg-Germany: Taxation at source. No frontier zone. No specific provisions regarding cross-border work: and supplementary protocol ofArticle Luxembourg-Belgium: Taxation at source. No frontier zone:Article 15(1) and (2) Luxembourg-France: Taxation at.

Supplementary Protocol of 1 February to the Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters; Convention of 1 June on the Recognition of Divorces and Legal Separations; Convention of 4 May on the Law Applicable to Traffic Accidents.

The Commission of the European Union (EU) takes part in the work of the OECD, in accordance with the Supplementary Protocol to the Convention on the OECD. This participation goes well beyond that of. [Provisional translation] Janu Ministry of Finance. Protocol amending the Tax Convention with the Kingdom of Belgium was signed.

On January 26 (Tue.), the Government of Japan and the Government of the Kingdom of Belgium signed the “Protocol amending the Convention between Japan and the Kingdom of Belgium for the Avoidance of Double Taxation with respect to.

In the relations between Powers which are bound by the Conventions of The Hague concerning the Laws and Customs of War on Land (IV) and concerning Naval Bombardment in Time of War (IX), whether those of 29 July, or those of 18 October,and which are Parties to the present Convention, this last Convention shall be supplementary to the.

Octo Ministry of Finance. New Tax Convention with Belgium was Signed [Provisional translation] 1. Today, the Government of Japan and the Government of the Kingdom of Belgium signed the Convention between Japan and the Kingdom of Belgium for the Elimination of Double Taxation with respect to Taxes on Income and the Prevention of Tax Evasion and Avoidance.

Treaties. Some treaties or conventions confer jurisdiction on the Court. It has become a common international practice for international agreements - whether bilateral or multilateral - to include provisions, known as jurisdictional clauses, providing that certain categories of disputes shall or may be subject to one or more methods of pacific dispute settlement.

21/09/ Protocol No. 2 to the Convention for the Protection of Human Rights and Fundamental Freedoms, conferring upon the European Court of Human Rights competence to give advisory opinions (*) 06/05/ 21/09/ Convention on the Reduction of Cases of Multiple Nationality and on Military Obligations in Cases of Multiple.

Protocol No. 3 to the Convention for the Protection of Human Rights and Fundamental Freedoms, amending Artic 30 and 34 of the Convention 6-May Sep Protocol also means that the Convention may not increase the tax burden on a resident of a Contracting States beyond the burden determined under domestic law.

Thus, a right to tax given by the Convention cannot be exercised unless that right also exists under internal law. of Belgium, France, the Netherlands and the United Kingdom which, after attaining independence, acceded to the General Agreement under Article XXVI:5(c), apply the GATT under the Protocol of Provisional Application, the text of which is reproduced in this volume.

Chile applies the General Agreement under a Special Protocol of September. proposed income tax treaty between the United States and Belgium as supplemented by a protocol (the “proposed protocol”). Unless otherwise specified, the proposed treaty and the proposed protocol are hereinafter referred to collectively as the “proposed treaty.” .The Geneva Conventions comprise four treaties, and three additional protocols, that establish the standards of international law for humanitarian treatment in war.

The singular term Geneva Convention usually denotes the agreements ofnegotiated in the aftermath of the Second World War (–), which updated the terms of the two treaties, and added two new conventions.Consolidated version of the Canada-United States Convention with Respect to Taxes on Income and on Capital signed at Washington on Septemas amended by the Protocols signed on JMaMa and J