This article examines the U.S. tax consequences of the use of derivative instruments in international financing transactions. The outline focuses in large part on the inconsistent U.S. tax treatment that results &om the use of various derivative financial instruments in cross-border financing transactions and the resulting implications for U.S. withholding taxes on ordinary equity and debt investments
Corporate tax systems generally maintain a sharp distinction between debt and equity. However, the a...
This paper examines the effects of the Tax Reform Act of 1986 on the international location decision...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...
The current proposals to substitute consumption for income as the principal U.S. tax base have alrea...
This paper explores efficiency and equity issues related to the introduc-tion of a withholding tax o...
This Article focuses on a single organizing question, namely: how should a dividend paid deduction r...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
This paper studies tax reforms in a dynamic model of a global economy calibrated to current U.S. and...
This paper is a simulation study of the international aspects of United States corporate taxation. I...
The Tax Reform Act of 1986 made significant changes to the foreign tax laws. The rule changes make i...
This dissertation consists of three essays that examine the effects of corporate tax systems on mult...
This article identifies and discusses some defects and inconsistencies in the application of the for...
Abstract- This paper reassesses the burden of the current U.S. international tax regime and reconsid...
We present 1984 data on U.S. multinationals, their foreign operations, and repatriations received fr...
Investors can access foreign diversification opportunities through either foreign portfolio investme...
Corporate tax systems generally maintain a sharp distinction between debt and equity. However, the a...
This paper examines the effects of the Tax Reform Act of 1986 on the international location decision...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...
The current proposals to substitute consumption for income as the principal U.S. tax base have alrea...
This paper explores efficiency and equity issues related to the introduc-tion of a withholding tax o...
This Article focuses on a single organizing question, namely: how should a dividend paid deduction r...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
This paper studies tax reforms in a dynamic model of a global economy calibrated to current U.S. and...
This paper is a simulation study of the international aspects of United States corporate taxation. I...
The Tax Reform Act of 1986 made significant changes to the foreign tax laws. The rule changes make i...
This dissertation consists of three essays that examine the effects of corporate tax systems on mult...
This article identifies and discusses some defects and inconsistencies in the application of the for...
Abstract- This paper reassesses the burden of the current U.S. international tax regime and reconsid...
We present 1984 data on U.S. multinationals, their foreign operations, and repatriations received fr...
Investors can access foreign diversification opportunities through either foreign portfolio investme...
Corporate tax systems generally maintain a sharp distinction between debt and equity. However, the a...
This paper examines the effects of the Tax Reform Act of 1986 on the international location decision...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...