The debate about whether to abolish deferral or to adopt territoriality has been going on ever since the Kennedy Administration first proposed ending deferral in 1961. The problem is that neither side has factual support for their argument about whether the U.S. tax system, including Subpart F, as currently enacted or with any of the proposed reforms, in fact negatively impacts the tax burden of US-based MNEs. Even the concept of competitiveness itself is unclear. Despite numerous claims, there has been no rigorous attempt that we are aware of to determine whether MNEs based in our major trading partners in fact have a tax advantage or disadvantage because of Subpart F or other rules. In October, 2011, the American Tax Policy Institute spon...
This article contrasts three approaches to dealing with the BEPS problem: adopting a unitary taxatio...
This Article examines the legal and economic implications of this globalization phenomenon. Part I d...
International considerations are coming to play an increasingly impor-tant role in U.S. tax policy d...
In February, 2012, the Treasury and White House unveiled President Obama\u27s Framework for Business...
Around the world, policymakers are obsessed with the competitiveness of their domestic companies and...
Around the world, the tax laws are shaped by concerns with competitiveness. This paper provides a ge...
Label contradicts reality for the U.S. international corporate tax system. The U.S. system is typica...
This article focuses solely on the big picture issue of whether international tax reform should take...
In this report, I argue that the inversion situation is more nuanced, complex, and ambiguous than Ed...
This Note responds to Integration of the Individual and Corporate Tax Systems: Taxing Business Inco...
This paper revisits tax competition among governments for foreign direct investment (FDI) by conside...
Can the United States compete in the global market? Are the policies emerging from Washington making...
Tax sparing occurs when a country with a worldwide tax system grants its citizens foreign tax credit...
International tax competition undermines states’ capacity for redistributive taxation. It is thus pr...
Until 1993, the United States led the rest of the developed world in strengthening residence-based w...
This article contrasts three approaches to dealing with the BEPS problem: adopting a unitary taxatio...
This Article examines the legal and economic implications of this globalization phenomenon. Part I d...
International considerations are coming to play an increasingly impor-tant role in U.S. tax policy d...
In February, 2012, the Treasury and White House unveiled President Obama\u27s Framework for Business...
Around the world, policymakers are obsessed with the competitiveness of their domestic companies and...
Around the world, the tax laws are shaped by concerns with competitiveness. This paper provides a ge...
Label contradicts reality for the U.S. international corporate tax system. The U.S. system is typica...
This article focuses solely on the big picture issue of whether international tax reform should take...
In this report, I argue that the inversion situation is more nuanced, complex, and ambiguous than Ed...
This Note responds to Integration of the Individual and Corporate Tax Systems: Taxing Business Inco...
This paper revisits tax competition among governments for foreign direct investment (FDI) by conside...
Can the United States compete in the global market? Are the policies emerging from Washington making...
Tax sparing occurs when a country with a worldwide tax system grants its citizens foreign tax credit...
International tax competition undermines states’ capacity for redistributive taxation. It is thus pr...
Until 1993, the United States led the rest of the developed world in strengthening residence-based w...
This article contrasts three approaches to dealing with the BEPS problem: adopting a unitary taxatio...
This Article examines the legal and economic implications of this globalization phenomenon. Part I d...
International considerations are coming to play an increasingly impor-tant role in U.S. tax policy d...