TEL.: +43 1 246 30-801  |  E-MAIL: support@lindeverlag.at
Suchen Hilfe
Lang

Introduction to the Law of Double Taxation Conventions

3. Aufl. 2021

ISBN: 978-3-7073-3455-5

Besitzen Sie diesen Inhalt bereits, melden Sie sich an.
oder schalten Sie Ihr Produkt zur digitalen Nutzung frei.

Dokumentvorschau
Introduction to the Law of Double Taxation Conventions (3. Auflage)

S. 599. Allocation rules

9.1. Income from immovable property

9.1.1. Immovable property

227

Income from immovable property is dealt with by treaty provisions patterned after Art. 6 OECD Model. The concept of immovable property is set out in Art. 6(2) OECD Model: “The term ‘immovable property’ shall have the meaning which it has under the law of the Contracting State in which the property in question is situated. The term shall in any case include property accessory to immovable property, livestock and equipment used in agriculture and forestry, rights to which the provisions of general law respecting landed property apply, usufruct of immovable property and rights to variable or fixed payments as consideration for the working of, or the right to work, mineral deposits, sources and other natural resources”. This definition partly refers to the domestic law of the state where the property is situated. However, the terms used in the definition have to be interpreted as far as possible within the context of the OECD Model.

228

Art. 6 OECD Model covers income arising from the immediate utilization of the property and the rental or lease of the property, as well as income arising from any other use of rea...

Daten werden geladen...