It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st century, a lecture honoring a man who has done much to shape and stimulate our thinking about the international tax world of the 20th. Our nation\u27s system for taxing international income today is largely a creature of the period 1918-1928, a time when the income tax was itself in childhood. From the inception of the income tax (1913 for individuals, 1909 for corporations) until 1918, foreign taxes were deducted like any other business expense. In 1918, the foreign tax credit (FTC) was enacted. This unilateral decision by the United States to allow taxes paid abroad to reduce U.S. tax liability dollar for dollar—taken principally to redress the...
Taxes are a basis of national states, but they have been internationally coordinated since the emerg...
In this short paper, we review the criticism of the standard view (the ‘old view’) of foreign profit...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
Arguably, the largest problem in international income taxation is the proper treatment of income tha...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
Much of what I will say here today is distilled from articles that I have written and things I have ...
United States international tax policy in the 1980s and beyond, where are we going and why? The fede...
This paper reassesses the burden of the current U.S. international tax regime and reconsiders well-k...
A recent article by Tarcísio Diniz Magalhães aims to develop answers to both questions. That article...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
The present U.S. system of international taxation is riddled with problems because it does not satis...
Taxes are a basis of national states, but they have been internationally coordinated since the emerg...
In this short paper, we review the criticism of the standard view (the ‘old view’) of foreign profit...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
It is a pleasure to be here today to deliver the first David R. Tillinghast Lecture of the 21st cent...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
Arguably, the largest problem in international income taxation is the proper treatment of income tha...
The Sixteenth Amendment took effect on February 25, 1913, permitting Congress to tax income from wh...
Much of what I will say here today is distilled from articles that I have written and things I have ...
United States international tax policy in the 1980s and beyond, where are we going and why? The fede...
This paper reassesses the burden of the current U.S. international tax regime and reconsiders well-k...
A recent article by Tarcísio Diniz Magalhães aims to develop answers to both questions. That article...
This Note begins with commentary on the United States’ former worldwide system of taxation. This sys...
The present U.S. system of international taxation is riddled with problems because it does not satis...
Taxes are a basis of national states, but they have been internationally coordinated since the emerg...
In this short paper, we review the criticism of the standard view (the ‘old view’) of foreign profit...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...