A large part of border crossing investment takes the form of international mergers and acquisitions. In this article, we ask how optimal repatriation tax systems look like in a world where investment involves a change of ownership, instead of a reallocation of real capital. We find that the standard results of international taxation do not carry over to the case of international mergers and acquisitions. The deduction system is no longer optimal from a national perspective and the foreign tax credit system fails to ensure global optimality. The tax exemption system is optimal if ownership advantage is a public good within the multinational firm. However, the cross-border cash-flow tax system dominates the exemption system in terms of optima...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
We show that the parent-subsidiary structure of multinational firms created by cross-border mergers ...
Several investment-repatriation strategies are added to the standard model of a multinational in whi...
A large part of border crossing investment takes the form of international mergers and acquisitions....
In this paper we ask whether recent claims that the US government should switch from the tax credit ...
Repatriation taxes reduce the competitiveness of multinational firms from tax credit coun-tries when...
We develop a theoretical oligopoly model to study how international differences in profit and capita...
Would the introduction of a corporate tax system with consolidated tax base and formula apportionmen...
This thesis studies the effects of differences in the international tax system on the location of ta...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
We nd that reduced foreign corporate taxes may lead to ine ¢ cient foreign acquisitions if complemen...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
Repatriation taxes reduce the competitiveness of multinational firms from tax credit countries when...
U.S.-domiciled multinational firms are taxed on a worldwide basis under a credit and deferral system...
We show that the taxation systems regarding foreign dividends and capital gains across 49 countries ...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
We show that the parent-subsidiary structure of multinational firms created by cross-border mergers ...
Several investment-repatriation strategies are added to the standard model of a multinational in whi...
A large part of border crossing investment takes the form of international mergers and acquisitions....
In this paper we ask whether recent claims that the US government should switch from the tax credit ...
Repatriation taxes reduce the competitiveness of multinational firms from tax credit coun-tries when...
We develop a theoretical oligopoly model to study how international differences in profit and capita...
Would the introduction of a corporate tax system with consolidated tax base and formula apportionmen...
This thesis studies the effects of differences in the international tax system on the location of ta...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
We nd that reduced foreign corporate taxes may lead to ine ¢ cient foreign acquisitions if complemen...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
Repatriation taxes reduce the competitiveness of multinational firms from tax credit countries when...
U.S.-domiciled multinational firms are taxed on a worldwide basis under a credit and deferral system...
We show that the taxation systems regarding foreign dividends and capital gains across 49 countries ...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
We show that the parent-subsidiary structure of multinational firms created by cross-border mergers ...
Several investment-repatriation strategies are added to the standard model of a multinational in whi...