The Importance of Permanent Establishment in the Context of Taxation Issues in E-commerce

Elen Avalyan, Alvard Sargsyan, Nairuhi Avetisyan
{"title":"The Importance of Permanent Establishment in the Context of Taxation Issues in E-commerce","authors":"Elen Avalyan, Alvard Sargsyan, Nairuhi Avetisyan","doi":"10.52174/1829-0280_2022.5-9","DOIUrl":null,"url":null,"abstract":"E-commerce (including e-service) is considered a business method that eliminates\nterritorial boundaries and provides new opportunities to businesses. Notwithstanding the\nadvantages of e-commerce, it also brings some challenges, including in tax matters.For\ncountries, taxation right for e-commerce activities is mainly based on the location of such\nactivities performed. Although issues and disadvantages have always occured in\ninternational practice, currently they are increasing quickly. Countries are concerned\nwith the taxation of e-commerce, that they might not gain their fair share of tax from the\ntaxation process, meanwhile realizing that there should be chosen such a mechanism of\ntaxation so that it would not hinder conducting such transactions.\nHence, within the framework of e-commerce, for determining the taxation location\nof the profit, defining a permanent establishment has a significant role, because it is\nconsidered the main tool for having the right to tax a non-resident entity. It is obvious,\nthat for regulating the taxation of e-commerce, international cooperation is needed, but\nsuch cooperation is not easy, because of the conflicting interests of different countries.\nAccording to the Organisation for Economic Cooperation and Development (OECD)\nleading model, the competence of taxing business income is given to that contracting\ncountry, where a permanent establishment of a transaction party exists.","PeriodicalId":328482,"journal":{"name":"Messenger of Armenian State University of Economics","volume":"62 1","pages":"0"},"PeriodicalIF":0.0000,"publicationDate":"1900-01-01","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":"0","resultStr":null,"platform":"Semanticscholar","paperid":null,"PeriodicalName":"Messenger of Armenian State University of Economics","FirstCategoryId":"1085","ListUrlMain":"https://doi.org/10.52174/1829-0280_2022.5-9","RegionNum":0,"RegionCategory":null,"ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":null,"EPubDate":"","PubModel":"","JCR":"","JCRName":"","Score":null,"Total":0}
引用次数: 0

Abstract

E-commerce (including e-service) is considered a business method that eliminates territorial boundaries and provides new opportunities to businesses. Notwithstanding the advantages of e-commerce, it also brings some challenges, including in tax matters.For countries, taxation right for e-commerce activities is mainly based on the location of such activities performed. Although issues and disadvantages have always occured in international practice, currently they are increasing quickly. Countries are concerned with the taxation of e-commerce, that they might not gain their fair share of tax from the taxation process, meanwhile realizing that there should be chosen such a mechanism of taxation so that it would not hinder conducting such transactions. Hence, within the framework of e-commerce, for determining the taxation location of the profit, defining a permanent establishment has a significant role, because it is considered the main tool for having the right to tax a non-resident entity. It is obvious, that for regulating the taxation of e-commerce, international cooperation is needed, but such cooperation is not easy, because of the conflicting interests of different countries. According to the Organisation for Economic Cooperation and Development (OECD) leading model, the competence of taxing business income is given to that contracting country, where a permanent establishment of a transaction party exists.
电子商务税收问题背景下常设机构的重要性
电子商务(包括电子服务)被认为是一种消除地域界限并为企业提供新机会的商业方法。尽管电子商务有优势,但它也带来了一些挑战,包括税收问题。对于国家而言,电子商务活动的征税权主要取决于其进行的地点。虽然在国际实践中一直存在问题和弊端,但目前这些问题和弊端正在迅速增加。各国担心电子商务的税收,因为他们可能无法从税收过程中获得公平的税收份额,同时意识到应该选择这样一种税收机制,这样就不会阻碍此类交易的进行。因此,在电子商务的框架内,为了确定利润的征税地点,确定常设机构具有重要作用,因为它被认为是有权向非居民实体征税的主要工具。显然,规范电子商务税收需要国际合作,但这种合作并不容易,因为不同国家的利益存在冲突。根据经济合作与发展组织(OECD)的领先模式,对企业收入征税的权力被赋予了存在常设交易机构的缔约国家。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
求助全文
约1分钟内获得全文 求助全文
来源期刊
自引率
0.00%
发文量
0
×
引用
GB/T 7714-2015
复制
MLA
复制
APA
复制
导出至
BibTeX EndNote RefMan NoteFirst NoteExpress
×
提示
您的信息不完整,为了账户安全,请先补充。
现在去补充
×
提示
您因"违规操作"
具体请查看互助需知
我知道了
×
提示
确定
请完成安全验证×
copy
已复制链接
快去分享给好友吧!
我知道了
右上角分享
点击右上角分享
0
联系我们:info@booksci.cn Book学术提供免费学术资源搜索服务,方便国内外学者检索中英文文献。致力于提供最便捷和优质的服务体验。 Copyright © 2023 布克学术 All rights reserved.
京ICP备2023020795号-1
ghs 京公网安备 11010802042870号
Book学术文献互助
Book学术文献互助群
群 号:481959085
Book学术官方微信