This panel discussion primarily focuses on U.S. tax policy with regards to international oil companies
billion in taxes to foreign governments on over $65.8 billion of foreign-source taxable (net) income...
U.S. corporations earn a substantial portion of their income from foreign sources. In 1986, the net ...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
This panel discussion focuses on debating the regulation of companies operating in more than one cou...
Oil and gas operations are the single most important activity carried on by American multinational c...
The tax treatment of foreign-source income of U.S. oil companies is under a multi-faceted attack whi...
This paper examines some aspects of the tax treatment of U.S. multinational corporations. The emphas...
This panel discussion is a conversation about the place of expropriation in international law
This paper is a simulation study of the international aspects of United States corporate taxation. I...
This dissertation consists of three essays that examine the effects of corporate tax systems on mult...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
There are two basic systems for international corporate taxation. The US operates under a worldwide ...
It seems appropriate to begin this discussion of foreign governmental control of multinational corpo...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
Welcome everyone. My name is Peter Byrne. I am the Deputy Director of the International Tax Program ...
billion in taxes to foreign governments on over $65.8 billion of foreign-source taxable (net) income...
U.S. corporations earn a substantial portion of their income from foreign sources. In 1986, the net ...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
This panel discussion focuses on debating the regulation of companies operating in more than one cou...
Oil and gas operations are the single most important activity carried on by American multinational c...
The tax treatment of foreign-source income of U.S. oil companies is under a multi-faceted attack whi...
This paper examines some aspects of the tax treatment of U.S. multinational corporations. The emphas...
This panel discussion is a conversation about the place of expropriation in international law
This paper is a simulation study of the international aspects of United States corporate taxation. I...
This dissertation consists of three essays that examine the effects of corporate tax systems on mult...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
There are two basic systems for international corporate taxation. The US operates under a worldwide ...
It seems appropriate to begin this discussion of foreign governmental control of multinational corpo...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
Welcome everyone. My name is Peter Byrne. I am the Deputy Director of the International Tax Program ...
billion in taxes to foreign governments on over $65.8 billion of foreign-source taxable (net) income...
U.S. corporations earn a substantial portion of their income from foreign sources. In 1986, the net ...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...