This paper synthesizes and extends the literature on the taxation of foreign source income in a framework that covers both greenfield and acquisition investment, and a general constraint linking investment at home and abroad for the multinational by introducing a cost of adjustment for the mobile factor. Unless the cost of adjustment is zero, the domestic tax on foreign-source income should always be set to ensure the optimal allocation of the mobile factor between domestic and foreign assets and should follow the classical rules in the literature; national optimality requires the deduction rule, and global optimality requires the credit rule. Only in the zero-cost case does exemption become optimal. Allowances can be set so as to ensure th...
Multinational taxation is an area of research that encompasses academics in accounting, finance and ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
This paper reviews economic principles for optimality of the taxation of international profit, from ...
This paper attempts to reconcile in a unified framework different approaches to the question of the ...
In 2009, the United Kingdom changed from a worldwide to a territorial tax system, which exempts all ...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
In this short paper, we review the criticism of the standard view (the ‘old view’) of foreign profit...
This paper shows that a small country can have incentives to tax inbound FDI even in a setting with ...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
Direct foreign investment is of growing importance throughout the world. Taxation of the resulting i...
This paper aims to review and extend the existing academic literature on the optimal structure of ta...
Multinational taxation is an area of research that encompasses academics in accounting, finance and ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
This paper synthesizes and extends the literature on the taxation of foreign source income in a fram...
This paper reviews economic principles for optimality of the taxation of international profit, from ...
This paper attempts to reconcile in a unified framework different approaches to the question of the ...
In 2009, the United Kingdom changed from a worldwide to a territorial tax system, which exempts all ...
We model the effects of cash flow taxes on company profit which differ according to the base and loc...
In this short paper, we review the criticism of the standard view (the ‘old view’) of foreign profit...
This paper shows that a small country can have incentives to tax inbound FDI even in a setting with ...
The current United States tax code regarding foreign sourced income is outdated for a heavily global...
Since 1992, new issues have arisen in international taxation--for example, taxation of electronic co...
Direct foreign investment is of growing importance throughout the world. Taxation of the resulting i...
This paper aims to review and extend the existing academic literature on the optimal structure of ta...
Multinational taxation is an area of research that encompasses academics in accounting, finance and ...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
It is an understatement to say that the appropriate taxation of foreign business income is a controv...