In this article, we discuss how various defects in the current U.S. international tax system - deferral, defective income-sourcing and cost allocation rules, lenient transfer-pricing rules, generous cross-crediting, the export sales source rule, the effectively tax-exempt treatment of many types of foreign-source royalties, and the deduction of foreign losses against U.S.-source income - can be combined to make the present U.S. system as generous as, and in some important respects more generous than, a properly designed exemption or territorial system for taxing foreign-source income of U.S. resident corporations. In other words, when judged from a public policy standpoint, the current U.S. system can produce worse-than-exemption results. B...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
The Presidential Advisory Panel on Federal Tax Reform and the Joint Committee on Taxation staff have...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
In this article, we argue that although some U.S. international income tax reforms, such as limitati...
Business people, tax practitioners, and legal academics generally agree that the United States\u27 i...
This article reviews proposals by House Ways and Means Committee Chairman Camp and Senator Mike Enzi...
Reform of the U.S. international income taxation system has been a hotly debated topic for many year...
The overriding issue in international taxation is the problem of double taxation. Under the tax laws...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
The present U.S. system of international taxation is riddled with problems because it does not satis...
This Article considers some possible implications for the international tax regime based on three ma...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
The Presidential Advisory Panel on Federal Tax Reform and the Joint Committee on Taxation staff have...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
In this article, we argue that although some U.S. international income tax reforms, such as limitati...
Business people, tax practitioners, and legal academics generally agree that the United States\u27 i...
This article reviews proposals by House Ways and Means Committee Chairman Camp and Senator Mike Enzi...
Reform of the U.S. international income taxation system has been a hotly debated topic for many year...
The overriding issue in international taxation is the problem of double taxation. Under the tax laws...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
The present U.S. system of international taxation is riddled with problems because it does not satis...
This Article considers some possible implications for the international tax regime based on three ma...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
In December of 2017, the United States (U.S.) enacted tax reform commonly known as the “Tax Cuts and...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...