A sizable number of US public companies have recently executed “tax inversions” – acquisitions that move a corporation’s residency abroad while maintaining its listing in domestic securities markets. When appropriately structured, inversions replace American with foreign tax treatment of extraterritorial earnings, often at far lower effective rates. Regulators and politicians have reacted with alarm to the “inversionitis” pandemic, with many championing radical tax reforms. This paper questions the prudence of such extreme reactions, both on practical and on conceptual grounds. Practically, I argue that inversions are simply not a viable strategy for many firms, and thus the ongoing wave may abate naturally (or with only modest tax reforms)...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
The current United States tax code regarding inversions and collection of foreign taxable income is ...
ABSTRACT This thesis analyzes the corporate income tax, more specifically related to foreign source...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Despite recent legislative and administrative efforts, U.S. corporations continue to engage in a con...
In the realm of tax policy, within which there is rarely broad-based consensus, there are few topics...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This paper utilizes a short-term event study to analyze the stock price reaction of domestic and for...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
A Corporate inversion is a process that a company undergoes to change the domicile of the parent cor...
The United States government grapples with the right solution to deter corporations from inverting a...
A wave of corporate inversions by U.S. firms over the past two decades has generated substantial deb...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
The current United States tax code regarding inversions and collection of foreign taxable income is ...
ABSTRACT This thesis analyzes the corporate income tax, more specifically related to foreign source...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Internationally disaggregated headquarters arise from cross-border relocations of headquarters compo...
Despite recent legislative and administrative efforts, U.S. corporations continue to engage in a con...
In the realm of tax policy, within which there is rarely broad-based consensus, there are few topics...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This paper utilizes a short-term event study to analyze the stock price reaction of domestic and for...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
A Corporate inversion is a process that a company undergoes to change the domicile of the parent cor...
The United States government grapples with the right solution to deter corporations from inverting a...
A wave of corporate inversions by U.S. firms over the past two decades has generated substantial deb...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
The current United States tax code regarding inversions and collection of foreign taxable income is ...
ABSTRACT This thesis analyzes the corporate income tax, more specifically related to foreign source...