The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of undistributed, accumulated corporate income. This article focus on that transition tax as it evaluates thefunction and constitutionality of the tax and considers whether the transition tax might serve as a model for addressing the broader problem of deferred income in the United States. The article views the transition taxas joining the expatriation tax and other mark to market inclusion provisions in abandoning any pretext that there is continued vitality in the realization principle as something more compelling than any other longstanding and obsolescing tax principle. Recommending that Congress seize the Tax Cuts and Jobs Act moment and disca...
Many observers have asserted that the reduced corporate tax rate instituted by the 2017 Tax Cuts and...
What if the current federal income tax laws were repealed and replaced with a simple flat tax? What ...
If there is fundamental U.S. international income tax reform, regardless of the reform option chosen...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
In this paper, I talk about Section 965, also known as the transition tax, enacted in the Tax Cuts a...
The slated expiration of the Bush Administration\u27s tax cuts in 2010 highlights the instability of...
The extensive literature on legal transitions has formed a general position in favor of establishing...
This article discusses probably the most significant obstacle to the adoption of a consumption tax: ...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
The United States imposes substantial federal taxes on estates, gifts, and generation-skipping trans...
By lowering the corporate tax rate from 35% to 21%, the 2017 tax legislation brought the U.S. statut...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
Enactment of the TCJA was followed by a mad dash to understand its effects. The speed and process of...
One of the most contentious tax legislative battles of the 104th Congress erupted over the Clinton a...
This Article focuses on two tax reform proposals: the Nunn-Domenici bill (USA Tax) and the Armey fla...
Many observers have asserted that the reduced corporate tax rate instituted by the 2017 Tax Cuts and...
What if the current federal income tax laws were repealed and replaced with a simple flat tax? What ...
If there is fundamental U.S. international income tax reform, regardless of the reform option chosen...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
In this paper, I talk about Section 965, also known as the transition tax, enacted in the Tax Cuts a...
The slated expiration of the Bush Administration\u27s tax cuts in 2010 highlights the instability of...
The extensive literature on legal transitions has formed a general position in favor of establishing...
This article discusses probably the most significant obstacle to the adoption of a consumption tax: ...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
The United States imposes substantial federal taxes on estates, gifts, and generation-skipping trans...
By lowering the corporate tax rate from 35% to 21%, the 2017 tax legislation brought the U.S. statut...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
Enactment of the TCJA was followed by a mad dash to understand its effects. The speed and process of...
One of the most contentious tax legislative battles of the 104th Congress erupted over the Clinton a...
This Article focuses on two tax reform proposals: the Nunn-Domenici bill (USA Tax) and the Armey fla...
Many observers have asserted that the reduced corporate tax rate instituted by the 2017 Tax Cuts and...
What if the current federal income tax laws were repealed and replaced with a simple flat tax? What ...
If there is fundamental U.S. international income tax reform, regardless of the reform option chosen...