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ATAD
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publication
CFC rules in CJEU's case law and in the ATAD: Who is more equal?
2020 |
Faculty of Law
publication
Abuse of Law in Tax Process Code from Viewpoint of Transposition of ATAD
2018 |
Faculty of Law
publication
Interes Limitation Rule in ATAD
2017 |
Faculty of Law
publication
Implementation of the Anti-Tax Avoidance Directive and Czech Law
2018 |
Faculty of Law
publication
Hybrid Mismatches After the ATAD
Publication without faculty affiliation
publication
IMPLEMENTATION OF GAAR AND OTHER ANTI-TAX AVOIDANCE RULES IN THE CZECH REPUBLIC
2019 |
Faculty of Law
publication
Hybrid Mismatches After the ATAD in the Czech Republic
2022 |
Faculty of Law
publication
Problematic aspects of application of the excessive borrowing costs test in practice
2021 |
Faculty of Law
publication
Theoretical aspects of tax avoidance in the field of income taxes
Publication without faculty affiliation
publication
GAAR in the Czech Republic - legislation and application
2019 |
Faculty of Law
publication
CFC Rules in the Czech Republic after the ATAD
2018 |
Faculty of Law
publication
CFC Rules in the Czech Republic after the ATAD - second part
2018 |
Faculty of Law
publication
Measures to prevent tax avoidance:Controlled Foreign Company Rules
2021 |
Faculty of Law
publication
Aggressive tax planning and its limitation in national legal order
2021 |
Faculty of Law
publication
Interest Limitation in Income Tax Law Amendment Proposal 2019
2018 |
Faculty of Law
publication
Anti-abuse Rule in Tax Code - Remarks to Future Application
2018 |
Faculty of Law
publication
Controlled Foreign Company Legislation in Czech Republic
2020 |
Faculty of Law
publication
EUFOREA/EPOS2020 statement on the clinical considerations for CRSwNP care
2023 |
First Faculty of Medicine