This Article began with a search for a theoretical underpinning that could explain the structure of the current corporate income tax regime, and found such underpinning lacking. It proposed an alternative underpinning for a corporate income tax based on the theory of the firm. The basic idea is that every firm generates incremental economic returns that would not be achieved but for its organizational structure as a firm. Thus, a sovereign could rationally choose to confiscate a portion of such returns, since it has made such returns possible (by enacting legislation that recognizes firms, etc.). (Whether or not a sovereign should confiscate a portion of such returns is a different matter entirely.) If it chooses to do so, the resulting ...
Effective functioning of the tax system is one of the main and determining components of the state a...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This Article began with a search for a theoretical underpinning that could explain the structure of ...
This Article challenges recent attempts by influential scholars to rationalize the existence of the ...
article published in law reviewGiven the current tax rate structure - where the marginal tax rate of...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
It is widespread practice around the world that corporate entities pay taxes to the country where th...
In the United States, some corporate income is never taxed, some is taxed once (either at the indivi...
The conventional wisdom has been that lowering the corporate tax will enhance economic growth and he...
International audienceThis article proposes an original review of the literature on tax competition,...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
Effective functioning of the tax system is one of the main and determining components of the state a...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This Article began with a search for a theoretical underpinning that could explain the structure of ...
This Article challenges recent attempts by influential scholars to rationalize the existence of the ...
article published in law reviewGiven the current tax rate structure - where the marginal tax rate of...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
It is widespread practice around the world that corporate entities pay taxes to the country where th...
In the United States, some corporate income is never taxed, some is taxed once (either at the indivi...
The conventional wisdom has been that lowering the corporate tax will enhance economic growth and he...
International audienceThis article proposes an original review of the literature on tax competition,...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
Effective functioning of the tax system is one of the main and determining components of the state a...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...