For the first time since 1913, Congress is considering abandoning the principle that US residents should be subject to tax on all income “from whatever source derived.” Specifically, the House proposed tax reform legislation, the so-called “Tax Cuts and Jobs Act”, would completely exempt from US taxation dividends from “Controlled Foreign Corporations”. This is therefore a good occasion for considering the reasons we tax such dividends in the first place. In the course of investigating the Stanley Surrey papers at the Harvard Law School Library, we discovered a remarkable report that support the view that the main impetus behind Subpart F was to protect the U.S. corporate tax base. The report explains some of the problems encountered by the...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
In this report, Reuven S. Avi-Yonah argues that the dichotomy between active and passive income that...
For the first time since 1913, Congress is considering abandoning the principle that U.S. residents ...
In the new version of his Stop Tax Haven Abuse Act, Sen. Carl Levin, D-Mich., once again proposed to...
Foreign taxpayers have long been a thorn in the side of Congress. Not only is the proper incidence o...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
The American Jobs Creation Act of 2004, passed by the US Congress on 12 October and signed into law ...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
In this excellent article, George Yin addresses an important proposal by the President\u27s Advisory...
The House Ways & Means Committee Discussion Draft proposes a territorial taxation system for the Uni...
This article reviews recent US proposals to amend the US Controlled Foreign Corporation (CFC) rules,...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
In this report, Reuven S. Avi-Yonah argues that the dichotomy between active and passive income that...
For the first time since 1913, Congress is considering abandoning the principle that U.S. residents ...
In the new version of his Stop Tax Haven Abuse Act, Sen. Carl Levin, D-Mich., once again proposed to...
Foreign taxpayers have long been a thorn in the side of Congress. Not only is the proper incidence o...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
The American Jobs Creation Act of 2004, passed by the US Congress on 12 October and signed into law ...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
In this excellent article, George Yin addresses an important proposal by the President\u27s Advisory...
The House Ways & Means Committee Discussion Draft proposes a territorial taxation system for the Uni...
This article reviews recent US proposals to amend the US Controlled Foreign Corporation (CFC) rules,...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
In this report, Reuven S. Avi-Yonah argues that the dichotomy between active and passive income that...