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Tax Law

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University of Washington School of Law

International Taxation

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Effects Of Australia's Maal And Dpt On Internet-Based Businesses, Antony Ting, Tommaso Faccio, Jeffrey M. Kadet Jul 2016

Effects Of Australia's Maal And Dpt On Internet-Based Businesses, Antony Ting, Tommaso Faccio, Jeffrey M. Kadet

Articles

Australia has received considerable attention as a result of its unilateral actions to discourage multinational profit shifting. Those actions include the 2015 enactment of the Multinational Anti-Avoidance Law and the Australian Treasury’s May 2016 proposal for a diverted profits tax. This article considers how those actions might affect non-Australian multinational entities that conduct internet platform services for, and earn revenues from, Australian customers if those MNEs take no action. It also reviews structural alternatives.

As will be seen from the example set out in the article, the Australian royalty withholding tax is a major portion of the possible tax increases …


Attacking Profit Shifting: The Approach Everyone Forgets, Jeffrey M. Kadet Jul 2015

Attacking Profit Shifting: The Approach Everyone Forgets, Jeffrey M. Kadet

Articles

No abstract provided.


Expansion Of The Profit-Split Method: The Wave Of The Future, Jeffrey M. Kadet Mar 2015

Expansion Of The Profit-Split Method: The Wave Of The Future, Jeffrey M. Kadet

Articles

Recognizing the reality that multinational corporations are centrally managed and not groups of entities that operate independently of one another, the OECD base erosion and profit-shifting project is considering expanded use of the profit-split method. This article provides background on why expanded use of the profit-split method is sorely needed. In particular, resource-constrained tax authorities in many countries are unable to administer or intelligently analyze and contest transfer pricing results presented by multinational groups. Most importantly, this article suggests a simplified profit-split approach using set concrete and objective allocation keys for commonly used business models that should be welcomed by …


U.S. Tax Reform: Full-Inclusion Over Territorial System Compelling, Jeffrey M. Kadet Apr 2013

U.S. Tax Reform: Full-Inclusion Over Territorial System Compelling, Jeffrey M. Kadet

Articles

The territorial system strongly lobbied for by U.S. multinational corporations that stand to benefit from that system is not what’s best for our country or our society. It is bad tax policy for many reasons, including the strong motivation it provides our multinational corporations to continue moving operations, jobs, risks, and assets outside the United States to achieve double non-taxation. A worldwide full-inclusion system would severely curtail or completely eliminate that strong motivation because double nontaxation would no longer be possible because of a current federal tax on all earnings that cannot be eliminated through any tax schemes or creative …


U.S. International Tax Reform: What Form Should It Take?, Jeffrey M. Kadet Jan 2012

U.S. International Tax Reform: What Form Should It Take?, Jeffrey M. Kadet

Articles

This article focuses solely on the big picture issue of whether international tax reform should take the form of a territorial system or an alternative full inclusion system. Of course, it is also necessary to compare these possible new systems with the current hybrid deferral system that has been in place for many years.

With little if any explanation of how it might be better for our nation and society as a whole, many persons and commentators whose companies or clients stand to benefit have called for a territorial system. Such persons have included CEOs, members of the professional tax …