In connection with any transition to a new international tax system, we need an approach that effectively deals with the trillions of dollars of previously untaxed foreign income held by CFCs. There is logic and fairness in applying a rate on those earnings that is less than the 35 percent home country rate because the rules of the game are being changed significantly. Many U.S. multinationals have had legitimate commercial reasons for retaining their earnings overseas. For these, I can happily accept whatever rate Congress chooses, whether it is at the lower 3.5 percent level of TRA 2014, the 14 percent level in the Administration\u27s Green Book, or the 20 percent level in the Baucus discussion draft. However, for those U.S. multinational...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
The 21st Century has seen unprecedented levels of corporate tax aggressiveness and avoidance. This A...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
The international tax regime is facing a defining moment. As stories of multinational companies expa...
THE debate about how best to reform U.S. corporate tax policy has focused almost exclusively on maki...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
This paper will assess the current state of the United States income tax policy in comparison to oth...
The present U.S. system of international taxation is riddled with problems because it does not satis...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
The 21st Century has seen unprecedented levels of corporate tax aggressiveness and avoidance. This A...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
The term “corporate inversion” is used to identify several transactional forms by which U.S. residen...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
To prevent negative effective tax rates in a territorial system, a multinational corporation’s deduc...
The international tax regime is facing a defining moment. As stories of multinational companies expa...
THE debate about how best to reform U.S. corporate tax policy has focused almost exclusively on maki...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
This paper will assess the current state of the United States income tax policy in comparison to oth...
The present U.S. system of international taxation is riddled with problems because it does not satis...
This research paper will focus on the current discussion in Washington D.C. regarding the reform of ...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
The 21st Century has seen unprecedented levels of corporate tax aggressiveness and avoidance. This A...