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Tolley's International Taxation of Upstream Oil and Gas 2nd ed

Tolley's International Taxation of Upstream Oil and Gas 2nd ed

  • 作者:
  • 出版商: LexisNexis U.K.
  • ISBN: 9780754555421
  • Previous Edition ISBN: 9780754550099
  • 出版时间 December 2017
  • 规格: Paperback
  • 适应领域: U.K. ? 免责申明:
    Countri(es) stated herein are used as reference only
New Edition is available now !
  • 描述 
  • 大纲 
  • 详细

    The scope of this title is to introduce and review significant international tax issues for upstream oil and gas operations.

    The book is based on introducing and explaining practical upstream tax issues, with an emphasis on tax risk management and related tax planning. Readers will develop skills in identifying tax exposures and opportunities, managing tax negotiations, and applying tax planning solutions.

    The book is intended to benefit accountants, lawyers, economists, financial managers and government officials. The book aims to be the first choice for the new starter in upstream oil and gas taxation.

    It also aims to be the best introduction of international tax issues relating to upstream oil and gas, enabling the reader to analyse and understand new situations and circumstances, rather than an encyclopaedic reference of tax issues.

  • Chapter I. Introduction
    1. Upstream Oil and Gas - Background
    2. Oil and Gas Producing Countries
    3. Largest Upstream Companies
    4. Largest Service Providers
    Chapter II. International Tax
    1. Introduction
    2. International Investment
    3. International Income Flows
    4. Transfer Pricing
    5. Domestic Tax Laws
    6. Tax Treaties
    Chapter III - Tax Regimes
    1. Concession Regimes Tax and Royalties
    2. Production Sharing Contracts Profit and Cost Oil
    3. Service Contract Regimes
    4. Royalties
    5. Production and Signature Bonuses
    6. Area Rentals
    7. State Equity and Carried Interests
    8. Excise Tax
    9. Indirect Taxes - VAT and State taxes
    Chapter IV - Country Tax Regimes - Examples and Selected Issues
    1. Introduction
    2. Algeria
    3. Angola
    4. Australia
    5. Brazil
    6. Canada
    7. Denmark
    8. Greenland
    9. Kazakhstan
    10. Mexico
    11. Nigeria
    12. Norway
    13. Qatar
    14. Saudi Arabia
    15. United Kingdom
    16. United States
    Chapter V - Tax Rate Increases and Bilateral Investment Treaties
    Chapter VI - Foreign Exploration Losses
    Chapter VII - Oil and Gas Operations and Permanent Establishments
    1. Permanent Establishments
    2. Contracting Services
    3. External Consortium
    4. Tripartite Agreements
    5. Tax Grossing Up
    6. Recovery if Withholding credited
    Chapter VIII - Capital Gains
    1. Holding Companies
    2. Treaty protection
    3. Tax Treaty Example - Netherlands
    4. Tax Treaties and Indirect Transfers - Australia
    Chapter IX - Mergers and Acquisitions
    1. Acquire Assets or Target Company
    2. Interest Deductions - Debt Push Down
    3. Depreciation and Asset Step Up
    4. Tax Losses
    5. Merger Relief
    6. Sale and Purchase Agreements
    7. M&A Issues to Review
    8. Seller Warranties
    9. Seller imposing tax on Purchaser - Grossing Up
    10. Buyer Protection - Indemnity Clause
    11. Tax Due Diligence
    12. Buyers Information Request List
    13. Input to Financial Modelling
    14. Accounts and Deferred Tax Balances
    Chapter X - Intellectual Property
    1. Oil and Gas IP Structures
    2. Switzerland
    3. Netherlands
    4. Luxembourg
    5. United Kingdom
    6. Brazil
    Chapter XI - Leasing
    1. Introduction
    2. Operating Leasing and Permanent Establishments
    3. Sale and Leaseback
    4. Singapore Example
    5. Specific Assets
    6. Tax Treaties - Leasing into the USA
    Chapter XII - Decommissioning
    Chapter XIII - Oil and Gas Financing
    1. Introduction
    2. Group treasury centres and In-house banking
    3. Thin capitalization
    4. Controlled Foreign Corporation (Subpart F)
    5. Hybrid Entities and Hybrid Securities
    6. Sale and Repurchase (Repo) - USA and UK
    7. Interest on Share Equity - Brazil
    8. Limited Partnership - China
    Chapter XIV - Profit Repatriation and Planning
    1. Branches and Head Office Costs
    2. Subsidiaries and Dividends
    3. Capital Gains
    4. Technical Service and Administration Fees
    Chapter XV - Procurement
    1. Planning Structures
    2. Netherlands, Hong Kong and Singapore
    Chapter XVI - Oil and Gas Trading
    1. Planning Structures
    2. Derivatives - Options, Forwards and Swaps
    3. Switzerland
    Chapter XVII - Transfer Pricing Concepts
    1. OECD and UN approaches
    2. Branch Profit Allocation
    3. Defence Files and Audit
    4. TP and Tax Treaties
    5. Advance Pricing Agreements (APAs)
    Chapter XVIII - Transfer Pricing and Upstream Oil and Gas
    1. Oil and Gas Sales
    2. Seismic Surveys
    3. Drilling
    4. Financial and Environmental Guarantees
    5. Transfer Pricing and Procurement
    6. Transfer Pricing and Oil and Gas Trading
    Chapter XIX - Transfer Pricing and Intellectual Property (IP)
    1. Intellectual Property in Oil and Gas
    2. Royalties or Cost Sharing
    3. Performance Based Royalties
    Chapter XX - Transfer Pricing and Administration
    1. Allocating Costs - Including Finance, IT, HR, and Legal
    2. Branch Issues, including capital allocation
    Chapter XXI - Transfer Pricing and Financing Structures
    Case Studies
    I. Tax Treaties and Permanent Establishments - Equipment
    II. Tax Treaties and Permanent Establishments - Exploration and Drilling
    III. Mergers & Acquisitions - Structuring - Brazil
    IV. Mergers & Acquisitions - Due Diligence - Canada
    V. Transfer Pricing - Drilling Products
    VI. Transfer Pricing - Intellectual Property - USA Oil Co and the IRS

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