As of late, many U.S. firms have made their way overseas in ways many feel are unethical. U.S. multinationals have taken note of the unimaginable domestic corporate income tax rate the United States has set for these U.S. corporations. Similar to an individual paycheck you may receive, you must pay a portion to the U.S. government in taxes. And even more similarly, you wish that you did not have to pay it either. U.S. multinationals have the same mindset, as they have found ways to avoid the corporate income tax through foreign activity strategies. Using scholarly research papers and well-renown media coverage, I was able to discover the methods used to avoid the 35% corporate income companies must pay on U.S. sourced income. Several source...
This paper analyzes whether a corporate tax cut reduces profit shifting to low-tax countries. I use...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
A wave of corporate inversions by U.S. firms over the past two decades has generated substantial deb...
This dissertation examines which characteristics distinguish firms that avoid more income taxation f...
Die Dis cus si on Pape rs die nen einer mög lichst schnel len Ver brei tung von neue ren For schungs...
This paper discusses the issue of profit shifting and “aggressive” tax planning by multinational fir...
The phenomenon of tax inversion has returned to the public eye as American companies in every sector...
A Corporate inversion is a process that a company undergoes to change the domicile of the parent cor...
One way a multinational corporation can further satisfy its primary objective, which is to maximize ...
Throughout the past century, with our world becoming ever smaller as a result of new-age technology ...
The dissertation focuses on issues of tax avoidance, base erosion and profit shifting of multination...
This paper discusses the issue of profit shifting and ‘aggressive’ tax planning by multinational fir...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This paper analyzes whether a corporate tax cut reduces profit shifting to low-tax countries. I use...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
A wave of corporate inversions by U.S. firms over the past two decades has generated substantial deb...
This dissertation examines which characteristics distinguish firms that avoid more income taxation f...
Die Dis cus si on Pape rs die nen einer mög lichst schnel len Ver brei tung von neue ren For schungs...
This paper discusses the issue of profit shifting and “aggressive” tax planning by multinational fir...
The phenomenon of tax inversion has returned to the public eye as American companies in every sector...
A Corporate inversion is a process that a company undergoes to change the domicile of the parent cor...
One way a multinational corporation can further satisfy its primary objective, which is to maximize ...
Throughout the past century, with our world becoming ever smaller as a result of new-age technology ...
The dissertation focuses on issues of tax avoidance, base erosion and profit shifting of multination...
This paper discusses the issue of profit shifting and ‘aggressive’ tax planning by multinational fir...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This paper analyzes whether a corporate tax cut reduces profit shifting to low-tax countries. I use...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...