This article concludes that the legal framework of the EU Merger Tax Directive (hereinafter; MTD) can be an option other than the legal framework of cross-border corporate reorganizations in U.S. tax law as the future direction for the tax system of cross-border corporate reorganizations in Japan (hereinafter; TSCCR). From this study, it followed that the TSCCR in Japan had five issues: (1) Lack of the criterion for applying the TSCCR in Japan; (2) Inadequacy of the definition of qualified corporate reorganizations covered; (3) Inadequacy of the definition of persons covered; (4) Inadequacy of tax deferral requirements; (5) Lack of the anti-tax abuse provision. Based on each implication, this article recommends some amendments to the TSCCR ...
The Australian and Japanese Governments have both come to appreciate that corporate reorganisations ...
The overriding issue in international taxation is the problem of double taxation. Under the tax laws...
We address three topics on the relationship between taxation and corporate decision-making. A featur...
Japan has only three tax treaties with reorganization clauses concerning substantial participations ...
The author who has been engaged in merger and business transfer of many companies including the comp...
Globalization and the rapid increase of international capital movements made the issue of how to tax...
For companies listed on the First Section Market of the Tokyo Stock Exchange, we conducted a researc...
This Article presents a discussion of various structural tax issues that a Japanese company should c...
https://www.grips.ac.jp/list/jp/facultyinfo/hasegawa_makoto/In an increasingly globalized world, the...
We examine the effect of a permanent change to a country income repatriation tax system on a set of ...
This article describes in general terms the Japanese domestic tax treatment of the foreign income of...
Tax is a cost of doing business. The focus of this investigation is the total direct taxes incurred ...
We examine the effect of a permanent change to a country corporate income repatriation tax system on...
For companies listed on the First Section Market of the Tokyo Stock Exchange, we conducted a researc...
The introduction of Consolidated Tax Returns system is expected from the year beginning after April ...
The Australian and Japanese Governments have both come to appreciate that corporate reorganisations ...
The overriding issue in international taxation is the problem of double taxation. Under the tax laws...
We address three topics on the relationship between taxation and corporate decision-making. A featur...
Japan has only three tax treaties with reorganization clauses concerning substantial participations ...
The author who has been engaged in merger and business transfer of many companies including the comp...
Globalization and the rapid increase of international capital movements made the issue of how to tax...
For companies listed on the First Section Market of the Tokyo Stock Exchange, we conducted a researc...
This Article presents a discussion of various structural tax issues that a Japanese company should c...
https://www.grips.ac.jp/list/jp/facultyinfo/hasegawa_makoto/In an increasingly globalized world, the...
We examine the effect of a permanent change to a country income repatriation tax system on a set of ...
This article describes in general terms the Japanese domestic tax treatment of the foreign income of...
Tax is a cost of doing business. The focus of this investigation is the total direct taxes incurred ...
We examine the effect of a permanent change to a country corporate income repatriation tax system on...
For companies listed on the First Section Market of the Tokyo Stock Exchange, we conducted a researc...
The introduction of Consolidated Tax Returns system is expected from the year beginning after April ...
The Australian and Japanese Governments have both come to appreciate that corporate reorganisations ...
The overriding issue in international taxation is the problem of double taxation. Under the tax laws...
We address three topics on the relationship between taxation and corporate decision-making. A featur...