Inversion or expatriation transactions are often prompted by financial institutions, such as private equity owners and hedge funds that own or control companies in which they have invested and that desire to reduce U.S. corporate taxes they must pay. This article explains the basic steps and perceived tax benefits to U.S. corporations engaging in inversion transactions, and describes both the current statutory limitations contained in the Internal Revenue Code to prevent such inversions and a recently announced Internal Revenue Service (IRS) plan to make inversions more difficult to achieve. Finally, the article discusses the appropriateness of the new IRS plans and suggests other ways to make such inversions less attractive
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
© 2017 John Wiley & Sons Ltd and Society for the Advancement of Management Studies Internationally...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
Continued tax-motivated inversions of U.S. corporations into foreign corporations highlight the syst...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
This Note proceeds in four parts. Part II defines tax inversion, provides an overview of the recent ...
"The U.S. corporate income tax is based on worldwide economic activity ... [C]orporations may active...
This report begins with a brief discussion of relevant portions of the U.S. corporate income tax sys...
The Obama Administration\u27s international tax proposals would, if enacted, be likely to increase t...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
© 2017 John Wiley & Sons Ltd and Society for the Advancement of Management Studies Internationally...
The current United States tax code regarding inversions and collection of foreign taxable income is ...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
Corporate inversions are the act of American corporations legally redomiciling to a foreign jurisdic...
This article discusses “inversion” transactions, in which a publicly traded U.S. corporation becomes...
Continued tax-motivated inversions of U.S. corporations into foreign corporations highlight the syst...
The purpose of this report is to give a brief overview of corporate tax inversions and how policymak...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
This Note proceeds in four parts. Part II defines tax inversion, provides an overview of the recent ...
"The U.S. corporate income tax is based on worldwide economic activity ... [C]orporations may active...
This report begins with a brief discussion of relevant portions of the U.S. corporate income tax sys...
The Obama Administration\u27s international tax proposals would, if enacted, be likely to increase t...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
Estimates of over 20 billion of tax revenue are lost to our economy because of corporate inversions....
There is a serious problem in international taxation today. Many United States (U.S.) multinational ...
© 2017 John Wiley & Sons Ltd and Society for the Advancement of Management Studies Internationally...