This article attempts to provide the first comprehensive rationale for defending the current corporate income tax. It argues that the usual reasons given for the tax (primarily as an indirect way of taxing shareholders, or alternatively as a form of benefit tax) are inadequate. It then explains what the original rationale to adopt this tax was in 1909, namely to regulate managerial power, and that this rationale stems from the real view of the corporation, which was the dominant view throughout the many transformations underwent by the corporate form from Roman times to the present. Turning to normative argument, the article then argues that the regulatory rationale given for taxing corporations in 1909 is still valid, since similar social ...
This chapter argues that the principal reason the US adopted the corporate tax in 1909 was to regula...
This paper addresses two questions. First, from the perspective of the corporation, should the corpo...
International audienceThis article proposes an original review of the literature on tax competition,...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
This Article challenges recent attempts by influential scholars to rationalize the existence of the ...
This Article began with a search for a theoretical underpinning that could explain the structure of ...
Under the aggregate or nexus of contracts view of the corporation, which is the dominant view among ...
Effective functioning of the tax system is one of the main and determining components of the state a...
This Article will address the question of whether publicly traded U.S. corporations owe a duty to th...
This Article argues that, while important, efficiency considerations should not function as the sole...
In recent years significant technical advances have enabled large corporations to sell into states f...
Objective – Although corporate tax avoidance is a widely discussed topic in the literature, conflict...
This paper addresses two questions. First, from the perspective of the corporation, should the corpo...
It is widespread practice around the world that corporate entities pay taxes to the country where th...
This chapter argues that the principal reason the US adopted the corporate tax in 1909 was to regula...
This paper addresses two questions. First, from the perspective of the corporation, should the corpo...
International audienceThis article proposes an original review of the literature on tax competition,...
This article attempts to provide the first comprehensive rationale for defending the current corpora...
Following an introduction, the paper is divided into two parts followed by a conclusion. Part II rev...
This Article challenges recent attempts by influential scholars to rationalize the existence of the ...
This Article began with a search for a theoretical underpinning that could explain the structure of ...
Under the aggregate or nexus of contracts view of the corporation, which is the dominant view among ...
Effective functioning of the tax system is one of the main and determining components of the state a...
This Article will address the question of whether publicly traded U.S. corporations owe a duty to th...
This Article argues that, while important, efficiency considerations should not function as the sole...
In recent years significant technical advances have enabled large corporations to sell into states f...
Objective – Although corporate tax avoidance is a widely discussed topic in the literature, conflict...
This paper addresses two questions. First, from the perspective of the corporation, should the corpo...
It is widespread practice around the world that corporate entities pay taxes to the country where th...
This chapter argues that the principal reason the US adopted the corporate tax in 1909 was to regula...
This paper addresses two questions. First, from the perspective of the corporation, should the corpo...
International audienceThis article proposes an original review of the literature on tax competition,...