Destination-based business cash-flow taxes have received a great deal of attention and are being widely considered as a replacement for traditional, origin-based, corporate taxes. These taxes combine the strong revenue-raising ability of a VAT with an enormously expensive tax deduction for wages. They would certainly be attractive to foreign investors by eliminating the burden of current corporate taxes. However, adopting them at the rates typically discussed would raise consumer prices dramatically. A more fundamental problem is that practical versions of such taxes would likely reduce net government revenues in countries adopting them.Non-PRIFPRI5; CRP2MTID; PIMCGIAR Research Program on Policies, Institutions, and Markets (PIM
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Considerable interest has been expressed in recent years by tax theorists as well as practitioners, ...
The 2016 House Republican Blueprint proposes business tax reform that establishes a destination-base...
This paper briefly outlines alternative approaches to enacting a destination-based cash flow tax tha...
This article offers the first comprehensive scholarly response to proposals for destination-based, c...
Investments and business profits are internationally mobile. Countries respond by tackling internati...
Current US proposals for destination-based corporate taxes that effectively combine a value-added ta...
This paper models the effects of cash-flow taxes on company profit which differ according to the loc...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
The House Republican Task Force on Tax Reform released its Blueprint for tax reform in June 2016, at...
The idea that corporations should be taxed in the jurisdiction where they make their sales or provid...
This paper considers the implications of the destination-based cash flow tax (DBCFT) for three commo...
The idea that corporations should be taxed in the jurisdiction where they make their sales or provid...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Considerable interest has been expressed in recent years by tax theorists as well as practitioners, ...
The 2016 House Republican Blueprint proposes business tax reform that establishes a destination-base...
This paper briefly outlines alternative approaches to enacting a destination-based cash flow tax tha...
This article offers the first comprehensive scholarly response to proposals for destination-based, c...
Investments and business profits are internationally mobile. Countries respond by tackling internati...
Current US proposals for destination-based corporate taxes that effectively combine a value-added ta...
This paper models the effects of cash-flow taxes on company profit which differ according to the loc...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
The House Republican Task Force on Tax Reform released its Blueprint for tax reform in June 2016, at...
The idea that corporations should be taxed in the jurisdiction where they make their sales or provid...
This paper considers the implications of the destination-based cash flow tax (DBCFT) for three commo...
The idea that corporations should be taxed in the jurisdiction where they make their sales or provid...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Academic and policy debates generally consider levying tax on corporate profit on either a residence...
Considerable interest has been expressed in recent years by tax theorists as well as practitioners, ...