Cross-border tax arbitrage arises where a transaction is subject to two or more countries’ differing tax regimes. Conflicts between the tax rules create unique opportunities for the parties to engage in profitable tax planning – opportunities that would not be available if the transaction occurred entirely domestically in one of the countries. These opportunities have been a growing feature of the multi-jurisdictional business world and have raised issues concerning whether and how countries, such as the United States, should respond. This Article examines cross-border tax arbitrage in the context of both domestic tax policy and of other international tax issues, and considers potential responses. It proposes an analytic framework for cross...
The international tax regime is facing a defining moment. As stories of multinational companies expa...
How are financial products taxed cross-border? This is subject of about 3,000 double tax treaties be...
The Article presents information on the abuse of transfer pricing by multinational enterprises and t...
Cross-border tax arbitrage arises where a transaction is subject to two or more countries’ differing...
This column is based on the article “International Tax Relations: Theory and Implications,” which wa...
The past decade has been a tumultuous and energized period in the study of administrative law and re...
Implicit in the allowance of foreign tax credits is the view that other countries\u27 taxes on the o...
From the introduction: Governments rely heavily on taxes to fund their operations. If the business t...
This Article describes how Zenith Electronics Corp. v. United States ( Zenith ) made the treatment o...
Offshore tax evasion, international money laundering, and aggressive international tax planning sign...
The collection of rules that falls under the rubric of jurisdiction to tax has aptly been describe...
This article discusses the nature of tax avoidance and the most important concepts connected to tax ...
Following recent court rulings, cross-border loss compensation for multinational firms will likely b...
The current international tax system allocates the taxation of cross-border income by reference to t...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
The international tax regime is facing a defining moment. As stories of multinational companies expa...
How are financial products taxed cross-border? This is subject of about 3,000 double tax treaties be...
The Article presents information on the abuse of transfer pricing by multinational enterprises and t...
Cross-border tax arbitrage arises where a transaction is subject to two or more countries’ differing...
This column is based on the article “International Tax Relations: Theory and Implications,” which wa...
The past decade has been a tumultuous and energized period in the study of administrative law and re...
Implicit in the allowance of foreign tax credits is the view that other countries\u27 taxes on the o...
From the introduction: Governments rely heavily on taxes to fund their operations. If the business t...
This Article describes how Zenith Electronics Corp. v. United States ( Zenith ) made the treatment o...
Offshore tax evasion, international money laundering, and aggressive international tax planning sign...
The collection of rules that falls under the rubric of jurisdiction to tax has aptly been describe...
This article discusses the nature of tax avoidance and the most important concepts connected to tax ...
Following recent court rulings, cross-border loss compensation for multinational firms will likely b...
The current international tax system allocates the taxation of cross-border income by reference to t...
This article will examine the significance of transfer pricing. Further, it will review, as an examp...
The international tax regime is facing a defining moment. As stories of multinational companies expa...
How are financial products taxed cross-border? This is subject of about 3,000 double tax treaties be...
The Article presents information on the abuse of transfer pricing by multinational enterprises and t...