This paper will argue that while there is some innovation in BEPS, it is in fact more of a continuation that a sharp break with the past. Like Alexis de Tocqueville’s French Revolution, BEPS represents both continuity and change. In particular, the single tax principle has formed the theoretical basis of much of the international tax regime from the beginning. And it is in fact this continuity rather than any sharp change that gives the final BEPS package its promise to, as Secretary General Gurria also promised, “put an end to double non-taxation.
Unprecedented attention to aggressive international tax planning has shaken the earth under the most...
On July 1, 2021, 130 countries signed on to a new framework for reforming international corporate ta...
2021 marks the fortieth anniversary of the 1981 US Model Tax Treaty as well as the fifth anniversary...
This paper will argue that while there is some innovation in BEPS, it is in fact more of a continuat...
This essay will consider the outcome of Pillars One and Two in light of the history of international...
This essay addresses the interaction between the changes in the international tax regime identified ...
2021 marks the 40th anniversary of the 1981 U.S. Model Tax Treaty as well as the 5th anniversary of ...
US international tax law is commonly conceived as developed in the US and influencing the developmen...
In 1997, I wrote an article on the international tax challenges posed by the then-nascent electronic...
The OECD’s Base Erosion and Profit Shifting (BEPS) project promises to bring about the most fundamen...
It has recently been argued in the international tax literature that the OECD Base Erosion and Profi...
It has recently been argued in the international tax literature that the OECD Base Erosion and Profi...
Since its launch in 2013, the US actively participated in all aspects of the BEPS project. However, ...
The Financial Crisis of 2008 and Great Recession that followed have exacerbated income inequality wi...
The rise and development of “Base Erosion and Profit Shifting” project by the Organization for Econo...
Unprecedented attention to aggressive international tax planning has shaken the earth under the most...
On July 1, 2021, 130 countries signed on to a new framework for reforming international corporate ta...
2021 marks the fortieth anniversary of the 1981 US Model Tax Treaty as well as the fifth anniversary...
This paper will argue that while there is some innovation in BEPS, it is in fact more of a continuat...
This essay will consider the outcome of Pillars One and Two in light of the history of international...
This essay addresses the interaction between the changes in the international tax regime identified ...
2021 marks the 40th anniversary of the 1981 U.S. Model Tax Treaty as well as the 5th anniversary of ...
US international tax law is commonly conceived as developed in the US and influencing the developmen...
In 1997, I wrote an article on the international tax challenges posed by the then-nascent electronic...
The OECD’s Base Erosion and Profit Shifting (BEPS) project promises to bring about the most fundamen...
It has recently been argued in the international tax literature that the OECD Base Erosion and Profi...
It has recently been argued in the international tax literature that the OECD Base Erosion and Profi...
Since its launch in 2013, the US actively participated in all aspects of the BEPS project. However, ...
The Financial Crisis of 2008 and Great Recession that followed have exacerbated income inequality wi...
The rise and development of “Base Erosion and Profit Shifting” project by the Organization for Econo...
Unprecedented attention to aggressive international tax planning has shaken the earth under the most...
On July 1, 2021, 130 countries signed on to a new framework for reforming international corporate ta...
2021 marks the fortieth anniversary of the 1981 US Model Tax Treaty as well as the fifth anniversary...