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Italy: Applicability of Article 10 of the Italy-Japan Income Tax Treaty to Italian-Source Dividends Paid to a Japanese Pension Fund through Certain US Limited Partnerships

Paolo Arginelli, Guglielmo Maisto

Research output: Chapter in Book/Report/Conference proceedingChapter

Abstract

The contribution concern the possible application of article 10 of the Italy-Japan Income Tax Treaty (1969)[1] to dividends paid by an Italian-resident company to certain US special purpose vehicles acting on behalf of a Japanese pension fund. In particular, the Italian Supreme Court had to deal with the issue of whether those dividends could be regarded as “received” by the Japanese pension fund for the purpose of the application of article 10 of the treaty, which is drafted along the lines of the OECD Model Tax Convention (OECD Model) (1963)[2] and, therefore, does not include any reference to the “beneficial owner” of the dividends.
Original languageEnglish
Title of host publicationTax Treaty Case Law around the Globe 2020
Pages151-162
Number of pages12
Volume2020
Publication statusPublished - 2021

Publication series

NameTax Treaty Case Law Series

Keywords

  • Dividends
  • Beneficial Ownership

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