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Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?

Includes abstract.

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Main Author: Sudding, Creagh
Other Authors: West, Craig
Format: Thesis
Language:English
Published: College of Accounting 2014
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access_status_str Open Access
author Sudding, Creagh
author2 West, Craig
author_browse Sudding, Creagh
West, Craig
author_facet West, Craig
Sudding, Creagh
author_sort Sudding, Creagh
collection Thesis
description Includes abstract.
format Thesis
id oai:open.uct.ac.za:11427/10721
institution University of Cape Town (South Africa)
language eng
last_indexed 2026-06-10T12:35:25.064Z
license_str Not specified — see source repository
provenance_str_mv Harvested via OAI-PMH from UCTD — University of Cape Town Open Access Repository
publishDate 2014
publishDateRange 2014
publishDateSort 2014
publisher College of Accounting
publisherStr College of Accounting
record_format dspace
source_str UCTD — University of Cape Town Open Access Repository
spelling oai:open.uct.ac.za:11427/10721 Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries? Sudding, Creagh West, Craig Accounting Includes abstract. Includes bibliographical references (leaves 141-148). Given the considerable increase in international trade over the past 40 years, particularly between Africa and the rest of the world, there is a risk that the developing African countries are being exploited by the developed countries. The key to this exploitation is the fact that Africa possesses untouched natural resources (embedded with significant profits), which the developed countries, specifically profit seeking companies from these countries ('the non-resident entity'), seek to extract and exploit. 2014-12-31T19:46:40Z 2014-12-31T19:46:40Z 2011 Master Thesis Masters MCom http://hdl.handle.net/11427/10721 eng application/pdf College of Accounting Faculty of Commerce University of Cape Town
spellingShingle Accounting
Sudding, Creagh
Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
thesis_degree_str Master's
title Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
title_full Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
title_fullStr Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
title_full_unstemmed Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
title_short Is the definition of "permanent establishment", as used in the double tax agreements of selected 'oil rich' central and North African countries, sufficient to protect the taxing rights on the natural resources of these countries?
title_sort is the definition of permanent establishment as used in the double tax agreements of selected oil rich central and north african countries sufficient to protect the taxing rights on the natural resources of these countries
topic Accounting
url http://hdl.handle.net/11427/10721
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