This Article considers some possible implications for the international tax regime based on three major proposals in the United States which would abolish the U.S. corporate and personal income taxes and implement in their place a type of consumption tax. It describes the three main proposals and the potential international implications. The Article discusses the possible impact of tax reform on the U.S. tax treaty network and concludes that our treaty partners would be entitled to terminate their treaties with the U.S. if it abolished the income tax. The author concludes by addressing the question whether the effect of the consumption tax proposals on the international tax regime will be positive or negative
In 1979, the United States and France revised their 1967 Income Tax Treaty Developed along the line...
This Article focuses on two proposals to revise the federal income tax system: the Armey flat tax an...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
This Article considers some possible implications for the international tax regime based on three ma...
Over the past several years, there have been a series of proposals to replace the U.S. income tax. T...
The article explains the structure of the international tax regime and offers suggestions for improv...
This essay addresses the interaction between the changes in the international tax regime identified ...
This Article explores consumption tax proposals as a possible alternative to the current income tax ...
Tax flight (the evasion of income taxes through the use of offshore tax havens) poses a $5o billion-...
Taxation of the worldwide income of U.S. citizens has been a feature of the U.S. income tax since th...
This Note concludes that through the adoption of a consumption tax the United States will benefit fr...
This Article examines the legal and economic implications of this globalization phenomenon. Part I d...
This Article examines the 1978 Protocol to the France-United States Income Tax Treaty, and examines ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The present U.S. system of international taxation is riddled with problems because it does not satis...
In 1979, the United States and France revised their 1967 Income Tax Treaty Developed along the line...
This Article focuses on two proposals to revise the federal income tax system: the Armey flat tax an...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
This Article considers some possible implications for the international tax regime based on three ma...
Over the past several years, there have been a series of proposals to replace the U.S. income tax. T...
The article explains the structure of the international tax regime and offers suggestions for improv...
This essay addresses the interaction between the changes in the international tax regime identified ...
This Article explores consumption tax proposals as a possible alternative to the current income tax ...
Tax flight (the evasion of income taxes through the use of offshore tax havens) poses a $5o billion-...
Taxation of the worldwide income of U.S. citizens has been a feature of the U.S. income tax since th...
This Note concludes that through the adoption of a consumption tax the United States will benefit fr...
This Article examines the legal and economic implications of this globalization phenomenon. Part I d...
This Article examines the 1978 Protocol to the France-United States Income Tax Treaty, and examines ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The present U.S. system of international taxation is riddled with problems because it does not satis...
In 1979, the United States and France revised their 1967 Income Tax Treaty Developed along the line...
This Article focuses on two proposals to revise the federal income tax system: the Armey flat tax an...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...