FEW provisions in the Internal Revenue Code are the object of more polemics and pulpiteering than those governing taxation of foreign income. Yet the profusion of studies, tracts, books and bills on foreign taxation seldom actually concern foreign taxpayers -,except to the extent that an American owned corporation is a foreign taxpayer because it has a foreign charter, does business abroad, and is taxed as a foreign corporation under the Code. The legitimate foreign corporation gets only peripheral attention in current dialogues; the nonresident alien is virtually ignored. Recent experience with balance of payments deficits and a lagging growth rate, however, emphasizes the importance of the foreigner in our economy-apart from his tr...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...
"Domestic Tax Policy and Foreign Investment: Some Evidence" Investment abroad has come to ...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
FEW provisions in the Internal Revenue Code are the object of more polemics and pulpiteering than th...
Over the last five years for which data are available, the number of foreign corporations showing ne...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
This paper is a simulation study of the international aspects of United States corporate taxation. I...
Arguably, the largest problem in international income taxation is the proper treatment of income tha...
Foreign taxpayers have long been a thorn in the side of Congress. Not only is the proper incidence o...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
Whether a particular set of activities constitute the conduct of a trade or business within the Unit...
The impact of the United States\u27 Tax Reform Act of 1986 has been significant. The Act has created...
The tax treatment of foreign-source income of U.S. oil companies is under a multi-faceted attack whi...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...
"Domestic Tax Policy and Foreign Investment: Some Evidence" Investment abroad has come to ...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
FEW provisions in the Internal Revenue Code are the object of more polemics and pulpiteering than th...
Over the last five years for which data are available, the number of foreign corporations showing ne...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
This paper is a simulation study of the international aspects of United States corporate taxation. I...
Arguably, the largest problem in international income taxation is the proper treatment of income tha...
Foreign taxpayers have long been a thorn in the side of Congress. Not only is the proper incidence o...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
This article compares the U.S. export incentives, the Domestic International Sales Corporation (DISC...
Whether a particular set of activities constitute the conduct of a trade or business within the Unit...
The impact of the United States\u27 Tax Reform Act of 1986 has been significant. The Act has created...
The tax treatment of foreign-source income of U.S. oil companies is under a multi-faceted attack whi...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...
"Domestic Tax Policy and Foreign Investment: Some Evidence" Investment abroad has come to ...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...