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published on 10 December 2024 | reading time approx. 2 minutes
Cross-border sales activities of companies can establish a permanent establishment abroad for tax purposes, even if there is no fixed place of business. In practice, commission agent structures have therefore often been used to avoid such a permanent establishment. However, increasing pressure has been exerted on these models in recent years, as international developments, particularly by the OECD, aim to expand the definition of a permanent establishment and increasingly subject structural arrangements such as commission agent models to a permanent establishment classification for tax purposes.
Tojiddin Toyirov
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Hasan Diyarow
Rödl & Partner in Uzbekistan