Within the scope of our expertise in terms of double taxation agreements, the following areas are included:

  • Determination of whether the activities in the respective country or Turkey creates a permanent establishment
  • Examining the nature of the relevant transaction and evaluating whether it is included in the definition of royalty and determining whether there is any intangible asset in the transaction.
  • Dependent activities and status of wages
  • Taxation of interest and dividend payments
  • Shipping, air and land transportation gains
  • Taxation in capital gains
  • Taxation due to the performance of self-employment activities
  • Evaluation of the payments made to the directors within the scope of the tax agreement.
  • In which country the payments to artists and athletes will be taxed
  • Taxation right in pensions and regular payments
  • Other income and international taxation
  • Prevention of double taxation and mutual agreement procedures

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