The current system of taxing the income of multinational firms in the United States is flawed across multiple dimensions. The system provides an artificial tax incentive to earn income in low-tax countries, rewards aggressive tax planning, and is not compatible with any common metrics of efficiency. The U.S. system is also notoriously complex; observers are nearly unanimous in lamenting the heavy compliance burdens and the impracticality of coherent enforcement. Further, despite a corporate tax rate one standard deviation above that of other OECD countries, the U.S. corporate tax system raises relatively little revenue, due in part to the shifting of income outside the U.S. tax base. In this proposal, we advocate moving to a system of fo...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
This paper shows in a symmetric tax competition model that a formula apportionment system can attai...
An initiative is needed to break the logjam in the international negotiations to reform taxation of ...
The current system of taxing the income of multinational firms in the United States is flawed across...
The current system of taxing the income of multinational firms in the United States is flawed across...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
Tax avoidance by multinational enterprises (MNEs) is a global problem. Most crossborder trade occurs...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
In 2008, 12 percent of all federal revenues came from corporate income taxes; about half was paid by...
The purpose of this paper is to propose an alternative to the current U.S. corporate tax system. Thi...
An initiative is needed to break the logjam in the international negotiations to reform taxation of ...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
From an international perspective, formulary apportionment has traditionally been viewed as little m...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
This paper shows in a symmetric tax competition model that a formula apportionment system can attai...
An initiative is needed to break the logjam in the international negotiations to reform taxation of ...
The current system of taxing the income of multinational firms in the United States is flawed across...
The current system of taxing the income of multinational firms in the United States is flawed across...
Corporate tax reform has been a controversial issue in the U.S. for several years, particularly as U...
Tax avoidance by multinational enterprises (MNEs) is a global problem. Most crossborder trade occurs...
This article suggests a variant on the proposal for a global anti-base erosion tax (GloBE), which is...
One of the most current and highly debated issues facing the Obama Administration is: - the restruct...
In 2008, 12 percent of all federal revenues came from corporate income taxes; about half was paid by...
The purpose of this paper is to propose an alternative to the current U.S. corporate tax system. Thi...
An initiative is needed to break the logjam in the international negotiations to reform taxation of ...
In this article, I propose to add a new provision to the U.S. Internal Revenue Code that adopts a mi...
The taxation of the income derived from financial assets and transactions was always a daunting blac...
From an international perspective, formulary apportionment has traditionally been viewed as little m...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
This paper shows in a symmetric tax competition model that a formula apportionment system can attai...
An initiative is needed to break the logjam in the international negotiations to reform taxation of ...