In 2017, Congress reduced tax rates on both corporate and noncorporate income. The drafters invoked the concept of pass-through parity to justify lower rates on noncorporate business income, resulting in a new and highly controversial deduction for pass-through owners under § 199A. The concept of pass-through parity conflates equitable treatment of different entity forms with equitable distribution of the ultimate tax burden among labor and capital. The flawed rationale for § 199A may be viewed as an attempt to preserve the pre-2017 preference for pass-through income; conceptually, the advantage of lower corporate rates is limited to the availability of a higher after-tax rate of return on reinvested corporate earnings, obviating concerns a...
By lowering the corporate tax rate from 35% to 21%, the 2017 tax legislation brought the U.S. statut...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
In this report, Shuldiner argues that although the Tax Cuts and Jobs Act appears to offer an across-...
In 2017, Congress reduced tax rates on both corporate and noncorporate income. The drafters invoked ...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
The slated expiration of the Bush Administration\u27s tax cuts in 2010 highlights the instability of...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
In the United States, some corporate income is never taxed, some is taxed once (either at the indivi...
Section 199A of the Tax Cuts and Jobs Act provides owners of noncorporate, pass-through businesses s...
In an ideal world, the effective tax rates for C corporations and partnerships would be identical an...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
article published in law reviewGiven the current tax rate structure - where the marginal tax rate of...
In recent decades, a growing share of U.S. business income has been taxed on a pass-through basis. W...
Section 1411 imposes a 3.8% surtax on investment income of high earners that mirrors Medicare taxes ...
The corporate income tax is under attack. The former Secretary of the Treasury has announced that it...
By lowering the corporate tax rate from 35% to 21%, the 2017 tax legislation brought the U.S. statut...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
In this report, Shuldiner argues that although the Tax Cuts and Jobs Act appears to offer an across-...
In 2017, Congress reduced tax rates on both corporate and noncorporate income. The drafters invoked ...
Reform of the U.S. corporate tax system is again on the agenda. Despite important differences, many ...
The slated expiration of the Bush Administration\u27s tax cuts in 2010 highlights the instability of...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
In the United States, some corporate income is never taxed, some is taxed once (either at the indivi...
Section 199A of the Tax Cuts and Jobs Act provides owners of noncorporate, pass-through businesses s...
In an ideal world, the effective tax rates for C corporations and partnerships would be identical an...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
article published in law reviewGiven the current tax rate structure - where the marginal tax rate of...
In recent decades, a growing share of U.S. business income has been taxed on a pass-through basis. W...
Section 1411 imposes a 3.8% surtax on investment income of high earners that mirrors Medicare taxes ...
The corporate income tax is under attack. The former Secretary of the Treasury has announced that it...
By lowering the corporate tax rate from 35% to 21%, the 2017 tax legislation brought the U.S. statut...
The Tax Cuts and Jobs Act of 2017 imposed a tax, the “transition tax,” on as much as 31 years of und...
In this report, Shuldiner argues that although the Tax Cuts and Jobs Act appears to offer an across-...