This Article focuses on a single organizing question, namely: how should a dividend paid deduction regime be designed so that it achieves acceptable international tax outcomes? By focusing on the international tax implications attendant with a dividend paid deduction regime, the author is not attempting to minimize the broader benefits of achieving shareholder-corporate integration, but in today’s era, the overwhelming tax policy problem that must be solved rests on finding a solution to the systemic international tax challenges that face the country. The article sets forth three major systemic international tax policy challenges that plague the extant U.S. international tax regime and then provides analysis for how a properly designed divi...
In this article, we discuss how various defects in the current U.S. international tax system - defer...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...
This Article focuses on a single organizing question, namely: how should a dividend paid deduction r...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
Abstract- This paper reassesses the burden of the current U.S. international tax regime and reconsid...
In international context, corporate taxes represent one of the major limiting factors of the intern...
Integration of the corporate and individual income taxes can be achieved by providing shareholders a...
In this article, we argue that although some U.S. international income tax reforms, such as limitati...
This paper reassesses the burden of the current U.S. international tax regime and reconsiders well-k...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
The design of international tax policies, including whether and how to tax corporate incomes earned ...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
In this article, we discuss how various defects in the current U.S. international tax system - defer...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...
This Article focuses on a single organizing question, namely: how should a dividend paid deduction r...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
Abstract- This paper reassesses the burden of the current U.S. international tax regime and reconsid...
In international context, corporate taxes represent one of the major limiting factors of the intern...
Integration of the corporate and individual income taxes can be achieved by providing shareholders a...
In this article, we argue that although some U.S. international income tax reforms, such as limitati...
This paper reassesses the burden of the current U.S. international tax regime and reconsiders well-k...
The U.S. government faces a well-documented long-term revenue shortage that is unlikely to be cured ...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
The design of international tax policies, including whether and how to tax corporate incomes earned ...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
In this article, we discuss how various defects in the current U.S. international tax system - defer...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
Abstract- This paper analyzes the effect of repatriation taxes on dividend payments by the foreign a...