“Cloud computing” raises important and difficult questions in state tax law, and for Federal taxes, particularly in the foreign tax area. As cloud computing solutions are adopted by businesses, items we view as tangible are transformed into digital products. In this article, I will describe the problems cloud computing poses for tax systems. I will show how current law is applied to cloud computing and will identify the difficulties current approaches face as they are applied to this developing technology. My primary interest is how Federal tax law applies to cloud computing, particularly as the new technology affects international transactions. I am not so interested in the current state of the law as I am in identifying the problems confr...
Cloud computing is an everyday part of the modern world; a technology that is increasingly transcend...
Distinguished Research Professor and Shackelford Distinguished Professor in Taxation Law Walter Hell...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
“Cloud computing” raises important and difficult questions in state tax law, and for Federal taxes, ...
Transacting business in the “cloud” has quickly gained popularity worldwide as the new method of pro...
As the digital environment in which we live continues to change at speeds that were unfathomable two...
Once a significant source of states’ revenue, the state sales tax systems in state public finance no...
Cloud computing may be borderless, but taxes are territorial. It is easy to imagine how the two conc...
Cloud computing may be borderless, but taxes are territorial. It is easy to imagine how the two conc...
Cloud computing - the provision of information technology resources in a virtual environment - has f...
Cloud computing has significantly changed the way in which information is collected, stored, handled...
The growth of the digital economy, and, in particular, cloud computing, has put a significant strain...
Cloud computing services are increasingly hosted on international servers and distributed amongst mu...
The United States has two different rationales for taxing income of non-U.S. persons and entities. F...
In Quill Corp. v. North Dakota, the Supreme Court emphasized that Congress is the proper authority t...
Cloud computing is an everyday part of the modern world; a technology that is increasingly transcend...
Distinguished Research Professor and Shackelford Distinguished Professor in Taxation Law Walter Hell...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...
“Cloud computing” raises important and difficult questions in state tax law, and for Federal taxes, ...
Transacting business in the “cloud” has quickly gained popularity worldwide as the new method of pro...
As the digital environment in which we live continues to change at speeds that were unfathomable two...
Once a significant source of states’ revenue, the state sales tax systems in state public finance no...
Cloud computing may be borderless, but taxes are territorial. It is easy to imagine how the two conc...
Cloud computing may be borderless, but taxes are territorial. It is easy to imagine how the two conc...
Cloud computing - the provision of information technology resources in a virtual environment - has f...
Cloud computing has significantly changed the way in which information is collected, stored, handled...
The growth of the digital economy, and, in particular, cloud computing, has put a significant strain...
Cloud computing services are increasingly hosted on international servers and distributed amongst mu...
The United States has two different rationales for taxing income of non-U.S. persons and entities. F...
In Quill Corp. v. North Dakota, the Supreme Court emphasized that Congress is the proper authority t...
Cloud computing is an everyday part of the modern world; a technology that is increasingly transcend...
Distinguished Research Professor and Shackelford Distinguished Professor in Taxation Law Walter Hell...
This thesis discusses jurisdiction to tax cross-border digital commerce. The primary objective is to...