This Note proceeds in four parts. Part II defines tax inversion, provides an overview of the recent regulations enacted by the Treasury, and discusses the role of major financial institutions in these transactions. Part III uses recent inversion deals to illustrate some responses to the recent regulation. Part IV uses President Obama’s 2015 budget proposal (the Budget ) and three recent legislative proposals to analyze the three major policies and explains why some are more effective than others. Lastly, Part V discusses how anti- inversion legislation impacts advisors and their clients and argues that ultimately, the United States should adopt a territorial tax system in conjunction with lowering the corporate tax rate
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
In the realm of tax policy, within which there is rarely broad-based consensus, there are few topics...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
The phenomenon of tax inversion has returned to the public eye as American companies in every sector...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
With a wave of recent tax inversion and corporate reorganization discussions, corporate tax strategy...
ABSTRACT This thesis analyzes the corporate income tax, more specifically related to foreign source...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
The United States government grapples with the right solution to deter corporations from inverting a...
Inversion or expatriation transactions are often prompted by financial institutions, such as private...
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
In the realm of tax policy, within which there is rarely broad-based consensus, there are few topics...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
The phenomenon of tax inversion has returned to the public eye as American companies in every sector...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
With a wave of recent tax inversion and corporate reorganization discussions, corporate tax strategy...
ABSTRACT This thesis analyzes the corporate income tax, more specifically related to foreign source...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
The United States government grapples with the right solution to deter corporations from inverting a...
Inversion or expatriation transactions are often prompted by financial institutions, such as private...
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...