tax administration
РАЗВИТИЕ ПРОЦЕССОВ ЕВРАЗИЙСКОЙ ИНТЕГРАЦИИ ПОД ВОЗДЕЙСТВИЕМ НАЛОГОВЫХ МЕХАНИЗМОВ |
With the expansion of international economic relations national tax policy cannot be considered only as a set of measures providing the domestic regulation in the country and ensuring the implementation of social and economic policy. Interstate traffic of goods, labor and capital increases the importance and the role of taxes in the distribution relations both between businesses and the state, and among the countries that are active in foreign trade. Theoretical analysis. The article studies the directions of harmonization of tax policy Eurasian EC. Methods. The article proves the necessity of system approach to the analysis of tax systems of the Eurasian countries and work on the harmonization of tax laws of the member states of the integrated community. The system approach will develop the theoretical and methodological base for the process of development the tax harmonization in Eurasian countries, make the interstate integration process more stable and dynamic. Results. The developed by the authors analysis results in the detection the most important areas of the Eurasian integration processes under the influence of tax arrangements, including the harmonization of indirect taxation in Eurasian countries, the establishment of general principles of taxation of income and property in Eurasian EC, intensification the information interchange between the tax services of Eurasian countries |
Izv. Sarat. Univ. Economics. Management. Law, 2013, vol. 13, iss. 3(1) |
Specificity of the Conflicts in the Taxation |
Taxes are a source of acute contradictions between state tax authorities and taxpayers that are updated by the development of theoretical and methodological approaches, consistent procedures for resolving major conflicts in the system of tax relations and improving tax administration. Theoretical analysis. Opposed interests of tax relations, and a variety of objects tax regulations give tax conflicts different character and motivation. The paper presents the theoretical and methodological approaches to the interpretation of the conflict in the tax area, considered the classification and causes of conflict in the tax area, given the tax conflict resolution mechanisms are analyzed in relation to the conflicts in the tax field are three basic approaches: a position of strength , with the right position , with position interests. Results. As one of the mechanisms for resolving tax disputes can recommend affiliate model of conflict resolution and relationships in the tax area. Thus, in modern conditions, a rejection of the unilateral nature of the relationship between tax authorities and taxpayers, and setting between civilized partnerships. |
Izv. Sarat. Univ. Economics. Management. Law, 2013, vol. 13, iss. 4(2) |
Modernization of Tax Administration in Foreign Countries: the Analysis of Major Trends |
Introduction. Improving the efficiency of the tax administration system is possible on the basis of strengthening the stability and certainty of legal regulation, as well as through the introduction of positive foreign experience. Reasonable implementation of foreign methods of tax control and tax control, taking into account the specifics of tax policy and practices of taxation, is able to improve tax administration in Russia. Theoretical analysis. Analysis of the basic directions of tax reforms in foreign countries has allowed to reveal the stages and elements of creating a partnership model of tax administration. The article describes the most important trends in the improvement of methods and instruments of tax administration abroad, which allowed establishing a highly effective system of tax administration. Discussion of results. The results of the article analysis are development of recommendations on introduction of experience of foreign countries in order to improve the efficiency of the Russian tax administration system. |
IZVESTIYA OF SARATOV UNIVERSITY. NEW SERIES. SERIES: ECONOMICS. MANAGEMENT. LAW. 2016. Т. 16, вып. 4 |