The U.S. tax system has many distortions, but two triumph them all. The first is debt-over-equity. Under the current corporate double taxation mechanism, C corporations are incentivized to borrow rather than issue equity, because interest is deductible, and dividends are not. The second is foreign-over-domestic investment. Under the current U.S. international tax regime, U.S. multinationals are subject to a reduced tax rate, and in certain occasions are also exempt from U.S. tax on their foreign earnings, while their domestic earnings are subject to full corporate tax rate. In this Article, I call for the adoption of a Dividends-Paid Deduction form of tax integration and for current-base taxation of foreign earnings. The already reduced co...
What are the implications of China’s rise for the US dominance in global tax governance? Will the si...
Over the years, many OECD countries, including the United States, have identified tax havens as a si...
Fund investment, or indirect investment, does not entail entity-level taxation domestically, so inve...
This paper analyzes the House GOP tax reform blueprint, which would significantly reduce marginal ta...
I investigate the effect of tax evasion – illegal underpayment of taxes – by firms in foreign countr...
The signature tax policy tension of the last two decades (at least) has been whether the federal tax...
Amici Curiae Brief of five law professors filed in the U.S. Court of Appeals for the Fourth Circuit ...
The Tax Cuts and Jobs Act significantly reformed the system of taxation in the United States by enac...
This extended bibliography is designed to support comparative tax law study by students, policy-make...
This Article examines the increased use of tax incentives as weapons in the international competitio...
One-size-fits-all taxation fails to accommodate diverse taxpayer circumstances. This Article propose...
I am a tenured professor at Osgoode Hall Law School of York University, teaching and researching in ...
abstract: States place a heavy reliance on sales tax revenues to finance government activities. The ...
The individual alternative minimum tax, commonly referred to as the AMT, remained relatively unchang...
This Article compares for the first time the relative economic efficiency of “nudges” and other form...
What are the implications of China’s rise for the US dominance in global tax governance? Will the si...
Over the years, many OECD countries, including the United States, have identified tax havens as a si...
Fund investment, or indirect investment, does not entail entity-level taxation domestically, so inve...
This paper analyzes the House GOP tax reform blueprint, which would significantly reduce marginal ta...
I investigate the effect of tax evasion – illegal underpayment of taxes – by firms in foreign countr...
The signature tax policy tension of the last two decades (at least) has been whether the federal tax...
Amici Curiae Brief of five law professors filed in the U.S. Court of Appeals for the Fourth Circuit ...
The Tax Cuts and Jobs Act significantly reformed the system of taxation in the United States by enac...
This extended bibliography is designed to support comparative tax law study by students, policy-make...
This Article examines the increased use of tax incentives as weapons in the international competitio...
One-size-fits-all taxation fails to accommodate diverse taxpayer circumstances. This Article propose...
I am a tenured professor at Osgoode Hall Law School of York University, teaching and researching in ...
abstract: States place a heavy reliance on sales tax revenues to finance government activities. The ...
The individual alternative minimum tax, commonly referred to as the AMT, remained relatively unchang...
This Article compares for the first time the relative economic efficiency of “nudges” and other form...
What are the implications of China’s rise for the US dominance in global tax governance? Will the si...
Over the years, many OECD countries, including the United States, have identified tax havens as a si...
Fund investment, or indirect investment, does not entail entity-level taxation domestically, so inve...