National Repository of Grey Literature 10 records found  Search took 0.01 seconds. 
Proposal to Improve Insurance for a City Vyškov
Kamínková, Petra ; Otáhalová, Jana (referee) ; Martinovičová, Dana (advisor)
Diploma thesis is target the tackle the questions insurance portfolio Vyškov town in Moravia. The aim of this work is to analyze the risk of the city, to compare existing insurance protection, with the possibilities offered by a competitor with regard to the property and responsibility of the city and to propose such an insurance portfolio, which would correspond in all ideas of the members of the city and which would minimize the risk
Proposal of Employee Renumeration System in Company Mediaservis. Ltd.
Kamínková, Petra ; Žilová, Lenka (referee) ; Martinovičová, Dana (advisor)
The goal of this BA thesis is to analyze the current ocmbination compensation in Mediaservis Ltd. Furthermore propose a new adaptive rewarding system for operators, based on enguiry among employees. Suggested approach should improve the actual combination compensation in order to highly motivate operators and encourage them to achieve their personal goals.
Legal aspects of tax planning in the direct tax area
Kamínková, Petra ; Karfíková, Marie (advisor) ; Boháč, Radim (referee) ; Papoušková, Zdenka (referee)
Title in English: Legal aspects of tax planning in the direct tax area Abstract: In 2012, the European Commission published its Recommendation on aggressive tax planning (2012/772/EU). To counteract aggressive tax planning, Member States should adopt a general anti-abuse rule (GAAR), which is drafted in the Recommendation. At that time, no one knew that GAARs would become obligatory for member states from 2019. In 2013, Organization for Economic Co-operation and Development (OECD) started the BEPS Project, which is considered the biggest revolution in the international tax law system since its creation in the 1950s. I introduce these initiatives and the legal instruments they bring. I focus on GAARs, which I consider to be the most important instruments. Their vagueness allows them to tackle any tax planning scheme. Their importance in the direct tax area grows as they become part of tax treaties based on the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting signed on 7 July 2017 and part of the national legal systems of the EU member states based on the Council Directive (EU) 2016/1164 of 12 July 2016, laying down rules against tax avoidance practices that directly affect the functioning of the internal market. First part of this thesis focuses on...
Abuse of law as a limit for tax planning
Kamínková, Petra ; Karfíková, Marie (advisor) ; Vybíral, Roman (referee)
in English Abuse of law as a limit for tax planning This thesis deals with the role of abuse of law concept in determining the limits of tax planning. The most significant topics addressed in this theses include the relationship between abuse of law and related concepts of circumvention of law and substance over form, acceptability of the subjective criterion of abuse, and the relationship between the abuse-of-law concept and teleological interpretation. I conclude that abuse of law is a convenient term to label certain teleological interpretations. Subjective criterion focusing on scope, artificiality or rationality of the transaction or taxpayer's intent should not by itself lead to the conclusion of abuse. Abuse of law and circumvention of law are, despite their linguistic differentiation, so related that they can be described as two sides of the same coin. Finally, the substance-over-form concept, understood in the Czech legal doctrine as a separate concept, fulfills the criteria of abuse, and can therefore be considered as its subpart.
Legal aspects of tax planning in the direct tax area
Kamínková, Petra ; Karfíková, Marie (advisor) ; Boháč, Radim (referee) ; Papoušková, Zdenka (referee)
Title in English: Legal aspects of tax planning in the direct tax area Abstract: In 2012, the European Commission published its Recommendation on aggressive tax planning (2012/772/EU). To counteract aggressive tax planning, Member States should adopt a general anti-abuse rule (GAAR), which is drafted in the Recommendation. At that time, no one knew that GAARs would become obligatory for member states from 2019. In 2013, Organization for Economic Co-operation and Development (OECD) started the BEPS Project, which is considered the biggest revolution in the international tax law system since its creation in the 1950s. I introduce these initiatives and the legal instruments they bring. I focus on GAARs, which I consider to be the most important instruments. Their vagueness allows them to tackle any tax planning scheme. Their importance in the direct tax area grows as they become part of tax treaties based on the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting signed on 7 July 2017 and part of the national legal systems of the EU member states based on the Council Directive (EU) 2016/1164 of 12 July 2016, laying down rules against tax avoidance practices that directly affect the functioning of the internal market. First part of this thesis focuses on...
Legislating against Tax Avoidance
Kamínková, Petra ; Boháč, Radim (advisor) ; Kohajda, Michael (referee)
Kamínková, Petra: Legislating against Tax Avoidance Abstract Tax avoidance practices of multinational corporations have recently come under criticism by governments and general public. In my thesis, I analyze various methods states may use to fight such behavior, with special regard given to the Czech Republic. In the first chapter, I introduce basic principles of international taxation. Second chapter focuses on several commonly used methods of avoiding taxes, and the tools used by governments to fight particular types of undesirable transactions and set-ups (Targeted Anti-Avoidance Rules - TAARs). The analysis therein suggests that these tools may be successful to a degree, but may never cover all possible scenarios. Third chapter elaborates on judicial doctrines and General Anti-Avoidance Rules (GAARs). These tools attempt to address tax avoidance methods not anticipated by legislature. My contention is that while these concepts may be quite powerful, they may also gravely threaten legal certainty. Therefore, I conclude that they should be used sparingly. Final chapter presents a set of auxiliary tools that may improve the communication between tax payers and tax authorities, thus helping the states to gather information faster and more efficiently, allowing them to react to arising issues with minimal...
Proposal of Employee Renumeration System in Company Mediaservis. Ltd.
Kamínková, Petra ; Žilová, Lenka (referee) ; Martinovičová, Dana (advisor)
The goal of this BA thesis is to analyze the current ocmbination compensation in Mediaservis Ltd. Furthermore propose a new adaptive rewarding system for operators, based on enguiry among employees. Suggested approach should improve the actual combination compensation in order to highly motivate operators and encourage them to achieve their personal goals.
Proposal to Improve Insurance for a City Vyškov
Kamínková, Petra ; Otáhalová, Jana (referee) ; Martinovičová, Dana (advisor)
Diploma thesis is target the tackle the questions insurance portfolio Vyškov town in Moravia. The aim of this work is to analyze the risk of the city, to compare existing insurance protection, with the possibilities offered by a competitor with regard to the property and responsibility of the city and to propose such an insurance portfolio, which would correspond in all ideas of the members of the city and which would minimize the risk
Genetically modified crops: politics and law of the European Union
Kamínková, Petra ; Dvořáková, Vladimíra (advisor) ; Lisa, Aleš (referee)
The legal framework for genetically modified crops in Europe is based on the precautionary principle, differing fundamentally from the US system. Where the EU created a complex set of strict rules for dealing with genetically modified crops, the United States continue to view GM crops to be just as safe as conventional crops. This philosophical difference led to one of the most complicated disputes in front of the World Trade Organization. It turned to be ineffective, however, to pressure the EU through the World Trade Organization's dispute settlement. However, it is the current internal conflict between EU member states and the European Commission regarding the authorization procedure for GM crops and the economic ramifications of the zero tolerance policy of unapproved crops on the European livestock industry that might finally bring about change in the European framework.

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