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Articles 31 - 47 of 47
Full-Text Articles in Law
Appellate Jurisdiction Of The Supreme Court Of India, Mubashshir Sarshar
Appellate Jurisdiction Of The Supreme Court Of India, Mubashshir Sarshar
Mubashshir Sarshar
No abstract provided.
Islamic Banking In India, Mubashshir Sarshar
Child Labour In India, Mubashshir Sarshar
Escrow Mechanism Under Foreign Direct Investment, Mubashshir Sarshar
Escrow Mechanism Under Foreign Direct Investment, Mubashshir Sarshar
Mubashshir Sarshar
No abstract provided.
Environmental Refugees, Mubashshir Sarshar
Laws Relating To Data Protection In India, Mubashshir Sarshar
Laws Relating To Data Protection In India, Mubashshir Sarshar
Mubashshir Sarshar
No abstract provided.
Austria's New Approach On Banking Secrecy Law And Tax Treaty Policy, Alexander Hofmann
Austria's New Approach On Banking Secrecy Law And Tax Treaty Policy, Alexander Hofmann
Alexander Hofmann
For a long time, Austria, among Switzerland, Liechtenstein, Luxembourg and Belgium, was known as an investment place offering strong banking secrecy laws which indeed operated as to shield information in the hand of banks from being exchanged with tax authorities. Over the years, the global community felt ever more uneasy with states that favored tax evasion. The article traces the political pressure Austria faced within the OECD and the EU to change its policy. It introduces the new legislation Austria has put into effect in 2009 in order to honor its promise to step up to the OECD standard.
Let The Trademark "Bully" Be!, Man K. Huynh
Let The Trademark "Bully" Be!, Man K. Huynh
Man K. Huynh
Trademark owners who use their trademark rights to harass and intimidate other businesses beyond what the law might be reasonably interpreted to allow are considered trademark “bullies.” The hallmark of a bully is the use of supposed intimidation tactics, but a trademark owner’s rights can be lost or restricted through a failure to control how third parties use the mark, or even similar marks. This article will attempt to explore the inherent conflict that exists in this juncture of trademark law.
“Complete Domestic Act Of Infringement” Supports The Application Of The “First Sale” Doctrine To Goods Manufactured Abroad., Man K. Huynh
“Complete Domestic Act Of Infringement” Supports The Application Of The “First Sale” Doctrine To Goods Manufactured Abroad., Man K. Huynh
Man K. Huynh
On December 13, 2010 the Supreme Court of the United States affirmed a lower court’s decision against Costco Wholesale Corp. and in favor of Omega, S.A. The divided Supreme Court agreed with the lower court that the “first-sale doctrine” does not apply to imported works manufactured abroad, and can be used as a defense. The basis of this case is rooted in 17 U.S.C. §109 which states that the “. . . owner of a particular copy or phonorecord lawfully made under this title, or any person authorized by such owner, is entitled, without the authority of the copyright owner, …
Front Matter (Letter From The Editor, Welcome Message, Etc.), Ankit Mathur, Annette Nellen
Front Matter (Letter From The Editor, Welcome Message, Etc.), Ankit Mathur, Annette Nellen
The Contemporary Tax Journal
No abstract provided.
Those Who Ignore The Successes Of The Past Suffer Recurrent, Intensifying Crises, William K. Black
Those Who Ignore The Successes Of The Past Suffer Recurrent, Intensifying Crises, William K. Black
Faculty Works
No abstract provided.
An Equity-Based, Multilateral Approach For Sourcing Income Among Nations, Fred B. Brown
An Equity-Based, Multilateral Approach For Sourcing Income Among Nations, Fred B. Brown
All Faculty Scholarship
The source of income rules used in the United States and elsewhere in large part establish the contours of tax jurisdiction exercised by countries. The source rules play a vital role in the foreign tax credit system applicable to U.S. persons with foreign investment or business activities. The source rules also play a central role in the United States’ exercise of source taxation over foreign persons with U.S. businesses or investments. Other countries likewise use source rules or their equivalent in applying foreign tax credit or territorial systems to their residents and exercising source taxation over nonresidents.
The current approach …
Responsive Regulation In Context, Circa 2011, Cristie Ford, Natasha Affolder
Responsive Regulation In Context, Circa 2011, Cristie Ford, Natasha Affolder
All Faculty Publications
In the fall of 2010, the University of British Columbia Faculty of Law welcomed a group of scholars from around the world to consider the state and evolution of responsive regulation, in both theory and practice. The occasion was the presence of Dr. John Braithwaite, the faculty's inaugural Fasken Martineau Senior Visiting Scholar.' Given that we are on the cusp of the twentieth anniversary of Ian Ayres and John Braithwaite's seminal book, Responsive Regulation: Transcending the Deregulation Debate,' it is appropriate that this issue begins with John Braithwaite's own reflections on the responsive regulation project. On one level, the set …
Tax Policy And The Efficiency Of U.S. Direct Investment Abroad, Mihir A. Desai, C. Fritz Foley, James R. Hines Jr.
Tax Policy And The Efficiency Of U.S. Direct Investment Abroad, Mihir A. Desai, C. Fritz Foley, James R. Hines Jr.
Articles
Deferral of U.S. taxes on foreign source income is commonly characterized as a subsidy to foreign investment, as reflected in its inclusion among “tax expenditures” and occasional calls for its repeal. This paper analyzes the extent to which tax deferral and other policies inefficiently subsidize U.S. direct investment abroad. Investments are dynamically inefficient if they consistently generate less in returns to investors than they absorb in new investment funds. From 1982–2010, repatriated earnings from foreign affiliates exceeded net capital investments by $1.1 trillion in 2010 dollars, and from 1950–2010, repatriated earnings and net interest from foreign affiliates exceeded net equity …
Reconsidering International Tax Neutrality, Michael S. Knoll
Reconsidering International Tax Neutrality, Michael S. Knoll
All Faculty Scholarship
For decades, U.S. international tax policy has shifted back and forth between territorial-source-exemption taxation and worldwide-residence-credit taxation. The former is generally associated with capital import neutrality (CIN) and the latter with capital export neutrality (CEN). One reason why national tax policy has shifted back and forth between those benchmarks is because it is widely accepted that a tax system cannot simultaneously satisfy both CEN and CIN unless tax rates on capital are harmonized across jurisdictions. In this essay, I argue that the international tax literature contains two different and conflicting definitions for CIN. Under one definition, which goes back at …
Risky Investment Decisions: How Are Individuals Influenced By Their Groups?, W. Kip Viscusi, Owen R. Phillips, Stephan Kroll
Risky Investment Decisions: How Are Individuals Influenced By Their Groups?, W. Kip Viscusi, Owen R. Phillips, Stephan Kroll
Vanderbilt Law School Faculty Publications
We investigate the effect of group versus individual decision-making in the context of risky investment decisions in which all subjects are fully informed of the probabilities and payoffs. Although there is full information, the lottery choices pose cognitive challenges so that people may not be sure of their expected utility-maximizing choice. Making such decisions in a group context provides real-time information in which group members can observe others’ choices and revise their own decisions. Our experimental results show that simply observing what others in the group do has a significant impact on behavior. Coupling real-time information with group decisions based …
How Australia Got A Vat, Susan C. Morse
How Australia Got A Vat, Susan C. Morse
Susan Cleary Morse
Australia got its goods and services tax – its VAT -- in 2000. It enacted GST legislation through ordinary political channels, without external pressure from a multinational organization, without the pressure of an extreme national fiscal crisis and without an unusual exercise of executive authority. And the GST-enacting center-right Liberal-National Party government retained control for seven years after the reform.
This paper tells the Australian story in four parts: (1) framing the GST as a relatively efficient tax; (2) building a coalition between business and social welfare interest groups; (3) emphasizing efficiency while addressing regressivity in the political and legislative …