This paper considers the implications of the destination-based cash flow tax (DBCFT) for three common ways of shifting taxable profits between countries: through manipulation of transfer prices, the use of debt, and locating intangible assets in low taxed jurisdictions. It shows that none of these planning devices would be available under a DBCFT, if adopted universally. This is because intra-group payments between two countries do not affect tax liabilities in either country . If adopted unilaterally, however, there would be an incentive to shift profit to the adopting country, at the expense of non-adopting countries
We study the choice between source-based and destination-based corporate taxes in a two country mode...
This paper aims to inform international tax policy development in light of three of the most promine...
The integration of world capital markets carries important implications for the design and impact of...
This paper considers the implications of the destination-based cash flow tax (DBCFT) for three commo...
Investments and business profits are internationally mobile. Countries respond by tackling internati...
The view that the transfer pricing problem vanishes under universal destination-based cash flow taxa...
This paper models the effects of cash-flow taxes on company profit which differ according to the loc...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
This paper briefly outlines alternative approaches to enacting a destination-based cash flow tax tha...
The House Republican Task Force on Tax Reform released its Blueprint for tax reform in June 2016, at...
The international taxation of multinational enterprises (MNEs) stands under public and political pre...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
The result of the global integration of the world economy are globally operating corporations. Multi...
Destination-based business cash-flow taxes have received a great deal of attention and are being wid...
The Republican majority in the US House of Representatives is considering the introduction of a dest...
We study the choice between source-based and destination-based corporate taxes in a two country mode...
This paper aims to inform international tax policy development in light of three of the most promine...
The integration of world capital markets carries important implications for the design and impact of...
This paper considers the implications of the destination-based cash flow tax (DBCFT) for three commo...
Investments and business profits are internationally mobile. Countries respond by tackling internati...
The view that the transfer pricing problem vanishes under universal destination-based cash flow taxa...
This paper models the effects of cash-flow taxes on company profit which differ according to the loc...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
This paper briefly outlines alternative approaches to enacting a destination-based cash flow tax tha...
The House Republican Task Force on Tax Reform released its Blueprint for tax reform in June 2016, at...
The international taxation of multinational enterprises (MNEs) stands under public and political pre...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
The result of the global integration of the world economy are globally operating corporations. Multi...
Destination-based business cash-flow taxes have received a great deal of attention and are being wid...
The Republican majority in the US House of Representatives is considering the introduction of a dest...
We study the choice between source-based and destination-based corporate taxes in a two country mode...
This paper aims to inform international tax policy development in light of three of the most promine...
The integration of world capital markets carries important implications for the design and impact of...