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Full-Text Articles in Tax Law

Defining The Field Of Law And Macroeconomics: A Framework From International Monetary Law, Nikita Aggarwal, Adam Feibelman Oct 2025

Defining The Field Of Law And Macroeconomics: A Framework From International Monetary Law, Nikita Aggarwal, Adam Feibelman

Articles

This Article proposes an analytical framework for defining the contours of the emerging field of law and macroeconomics drawing on the International Monetary Fund's principle of "macro-criticality." Such a framework can help steer scholarly debate toward a clearer understanding of the relationship between law and the economy and inform policymaking within that domain. In its native context, the macro-criticality principle limits the IMF's jurisdiction to policy areas that are critical for member countries' domestic and external stability. The IMF's approach distinguishes between a core set of macrocritical policies and other non-core policies that are contextually macrocritical. Over time, the IMF …


Panel 5 - Transnational Networks And Global Tax Governance, Amin Mawani, Shu-Yi Oei, Miranda Stewart Sep 2025

Panel 5 - Transnational Networks And Global Tax Governance, Amin Mawani, Shu-Yi Oei, Miranda Stewart

A. Cockfield Memorial Symposium

Chair: Amin Mawani (York University)

Shu-Yi Oei (Duke University), Transnational Actors and Networks in Global Tax Reform

Miranda Stewart (New York University/University of Melbourne), Are We Still Regulating Up? Transnational Networks and Global Cooperation in Tax Administration

Commentators: Lilian Faulhaber (Georgetown University); Angelo Nikolakakis (EY)


Panel 6 - Tax Sovereignty Asserted And Practiced, David Duff, Jonathan Farrar, Lyne Latulippe, Nicolas Proulx, Jinyan Li Sep 2025

Panel 6 - Tax Sovereignty Asserted And Practiced, David Duff, Jonathan Farrar, Lyne Latulippe, Nicolas Proulx, Jinyan Li

A. Cockfield Memorial Symposium

Chair: David Duff (University of British Columbia)

Jonathan Farrar (Wilfrid Laurier University), Mapping Public Attitudes Toward Taxation: A Cross-National Study of Fiscal Citizenship

Lyne Latulippe (Université de Sherbrooke) and Nicolas Proulx, (Members of Parliament in Development and Adoption of International Tax Policy), Implementation of International Tax Policy by the Canadian Parliament – The case of the MLI

Jinyan Li (Osgoode Hall Law School) and Angelo Nikolakakis (EY), Shrinking Tax Sovereignty in Canada? Evidence from the Income Tax Act

Commentators: Sophie Chatel (MP); Shawn Porter (Deloitte)


Program - A. Cockfield Memorial Symposium, York University Sep 2025

Program - A. Cockfield Memorial Symposium, York University

A. Cockfield Memorial Symposium

No abstract provided.


Panel 3 - Sovereignty In The Age Of Digitalization, Ken Klassen, Yariv Brauner, Ivan Ozai, David Duff Sep 2025

Panel 3 - Sovereignty In The Age Of Digitalization, Ken Klassen, Yariv Brauner, Ivan Ozai, David Duff

A. Cockfield Memorial Symposium

Chair: Ken Klassen (University of Waterloo)

Yariv Brauner (University of Florida), When Things Break Down: Taxing the Digital Economy in an Even Less Cooperative World

Ivan Ozai (Queen’s University), Taxing Decentralized Governance

David Duff (University of British Columbia), Globalization, Digitalization, and Individual Taxation

Commentators: Lori McMillan (Washburn University); Shay Menuchin (KPMG)


Panel 4 - Ai, Tax Avoidance And Disputes Resolution, Ivan Ozai, Jean-Pierre Vidal, Natalie Goulard, Geoffrey Loomer Sep 2025

Panel 4 - Ai, Tax Avoidance And Disputes Resolution, Ivan Ozai, Jean-Pierre Vidal, Natalie Goulard, Geoffrey Loomer

A. Cockfield Memorial Symposium

Chair: Ivan Ozai (Queen’s University)

Jean-Pierre Vidal (HEC Motréal) and Natalie Goulard (Spiegel Ryan), Economic Substance in Section 245: Can AI Help Humans?

Geoffrey Loomer (University of Victoria), Tax Treaty Shopping in the Digital Era: Is Canada Responding Effectively?

Commentators: Jeffrey Trossman (Blakes); Catherine Brown (University of Calgary)


Panel 2 - Tax Sovereignty: Legitimate Authority And Boundaries, Geoffrey Loomer, Tsilly Dagan, Jennifer Farrell Sep 2025

Panel 2 - Tax Sovereignty: Legitimate Authority And Boundaries, Geoffrey Loomer, Tsilly Dagan, Jennifer Farrell

A. Cockfield Memorial Symposium

Chair: Geoffrey Loomer (University of Victoria)

Tsilly Dagan (University of Oxford), Rethinking Tax Sovereignty: Between Power and Legitimate Authority

Jennifer Farrell (Western University), Tax implications of the new EU Foreign Subsidies Regulation Rules

Commentators: Stephen Shay (Boston College); Cees Peters (Tilburg University)


Panel 1 - Tax Sovereignty Between Law And Power, Heather Evans, Kim Brooks, Opeyemi Bello, Craig Elliffe, Reuven Avi-Yonah, Blazej Kuzniacki Sep 2025

Panel 1 - Tax Sovereignty Between Law And Power, Heather Evans, Kim Brooks, Opeyemi Bello, Craig Elliffe, Reuven Avi-Yonah, Blazej Kuzniacki

A. Cockfield Memorial Symposium

Chair: Heather Evans (Canadian Tax Foundation)

Kim Brooks (Dalhousie University) and Opeyemi Bello (University of Manitoba), Amidst Global Hostilities and Retaliatory Tariffs and Taxation: Analyzing How International Tax Policy Can Foster Global Peace

Craig Elliffe (University of Auckland), Taxing Foreigners Discriminatorily: Lessons from the Reserved Anglosphere

Reuven Avi-Yonah (University of Michigan) and Blazej Kuzniacki (Lazarski University), Rule of Law v. Rule of Power: US Tax Defense Measures in Light of the International Law of Countermeasures

Commentators: Shawn Porter (Deloitte); Remi Gagnon (Finance, Canada)


Book Review: Untaxed: The Rich, The Irs,And A New Approach To Tax Compliance, Leslie Book Sep 2025

Book Review: Untaxed: The Rich, The Irs,And A New Approach To Tax Compliance, Leslie Book

Faculty Publications

No abstract provided.


Ncti Is The New Gilti, And States Should Still Conform, David Gamage, Darien Shanske Sep 2025

Ncti Is The New Gilti, And States Should Still Conform, David Gamage, Darien Shanske

Faculty Publications

This essay continues our series on corporate profit shifting by analyzing how states should respond to the federal One Big Beautiful Bill Act, which transformed GILTI into the new Net Controlled Foreign Corporation Tested Income (NCTI) regime. We argue that states should conform to this new federal provision as a reasonable and legally sound approach to combatting the persistent profit shifting that erodes state tax bases. The 60 percent inclusion rate for NCTI effectively serves as a practical, "rough justice" estimate of income that was economically generated domestically but improperly shifted offshore — an estimate supported by empirical research. We …


The Contemporary Tax Journal Volume 13, No. 2 – Winter 2024 Sep 2025

The Contemporary Tax Journal Volume 13, No. 2 – Winter 2024

The Contemporary Tax Journal

No abstract provided.


The Contemporary Tax Journal’S Interview With Mr. David Forst, Shuang Zhang Sep 2025

The Contemporary Tax Journal’S Interview With Mr. David Forst, Shuang Zhang

The Contemporary Tax Journal

No abstract provided.


Understanding Section 1202: The Qualified Small Business Stock Exemption, Myra Sutanto Shen Sep 2025

Understanding Section 1202: The Qualified Small Business Stock Exemption, Myra Sutanto Shen

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: Legislative Update – Tax And Non–Tax, Shuang Zhang Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: Legislative Update – Tax And Non–Tax, Shuang Zhang

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: What’S New With Staking And Mining?, Yamilette Gonzalez Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: What’S New With Staking And Mining?, Yamilette Gonzalez

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: What Is Not In The First Final § 6045 Regulations?, Jacob Myers Cpa Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: What Is Not In The First Final § 6045 Regulations?, Jacob Myers Cpa

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: What Happens When You’Re Paid In Crypto?, Weng Ng Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: What Happens When You’Re Paid In Crypto?, Weng Ng

The Contemporary Tax Journal

No abstract provided.


The Deductibility Of Scam Losses: Cca 202511015, Jing Luo Sep 2025

The Deductibility Of Scam Losses: Cca 202511015, Jing Luo

The Contemporary Tax Journal

No abstract provided.


Becker Cpa Review Questions Sep 2025

Becker Cpa Review Questions

The Contemporary Tax Journal

No abstract provided.


Sjsu Certificate In Advanced Tax Practice Information Sep 2025

Sjsu Certificate In Advanced Tax Practice Information

The Contemporary Tax Journal

No abstract provided.


Front Matter (Letter From The Editor, Masthead, Etc.) Sep 2025

Front Matter (Letter From The Editor, Masthead, Etc.)

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: Overview Of Blockchain Technology And Why It Matters For Tax, Sviatlana Yakavets Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: Overview Of Blockchain Technology And Why It Matters For Tax, Sviatlana Yakavets

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: Putting The Final 6045 Regulations And Form 1099-Da Into Practice, Raymond Clark Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: Putting The Final 6045 Regulations And Form 1099-Da Into Practice, Raymond Clark

The Contemporary Tax Journal

No abstract provided.


The Second Annual Blockchain Tax Conference On January 24, 2025: Ensuring Widespread Implementation Of The Crypto-Asset Reporting Framework (Carf), Jing Luo Sep 2025

The Second Annual Blockchain Tax Conference On January 24, 2025: Ensuring Widespread Implementation Of The Crypto-Asset Reporting Framework (Carf), Jing Luo

The Contemporary Tax Journal

No abstract provided.


Facebook Decision Enables Irs To Seek - Cwi Enforcement Against Meta, Stephen L. Curtis, Reuven S. Avi-Yonah, David G. Chamberlain Sep 2025

Facebook Decision Enables Irs To Seek - Cwi Enforcement Against Meta, Stephen L. Curtis, Reuven S. Avi-Yonah, David G. Chamberlain

Law & Economics Working Papers

In this report, the authors explain how the Tax Court's recent decision in the Facebook transfer pricing case - although widely viewed as a victory for the taxpayer, Meta Platforms Inc.- could instead be a Pyrrhic victory because it enables the IRS to pursue a potentially substantial periodic adjustment against the company. The views expressed in this report are solely the authors' and do not necessarily reflect those of any other person or institution.


Should Tax-Free Triangular Mergers Be Eliminated?, Reuven Avi-Yonah Sep 2025

Should Tax-Free Triangular Mergers Be Eliminated?, Reuven Avi-Yonah

Articles

The tax advantages of reverse triangular mergers under section 368(a)(2)(E) are well known. They enable the acquiring corporation (P) to use up to 60 percent cash consideration to acquire the stock of target (T) through a merger with a controlled subsidiary (S), with T surviving. This amount of boot is higher than what is allowed under a B or C reorganization. Because it is a triangular merger, it avoids exposing the assets of P to the liabilities of T (unlike a direct merger), and because it is equivalent to a stock acquisition, it avoids having to transfer assets, which is …


Profit Shifting And The States: A Short Primer, David Gamage Sep 2025

Profit Shifting And The States: A Short Primer, David Gamage

Faculty Publications

This essay argues that corporate profit shifting remains one of the most significant challenges for U.S. state tax systems. Multinational enterprises continue to shift billions in profits to offshore tax havens, eroding state tax bases, distorting market competition, and forcing a greater reliance on more regressive taxes. We contend that the dominant "water's-edge" combined reporting method used by most states is structurally inadequate to combat modern profit-shifting techniques, which primarily involve the manipulation of intangible assets. The recent transformation of federal tax law (from GILTI to NCTI) and the global adoption of the OECD's Pillar 2 minimum tax framework create …


Chapter 9 Bankruptcy: The Solution That Causes Problems, Peter C. Alexander Sep 2025

Chapter 9 Bankruptcy: The Solution That Causes Problems, Peter C. Alexander

Brooklyn Journal of Corporate, Financial & Commercial Law

There is a little-known form of bankruptcy called a “Chapter 9,” reserved for insolvent cities, villages, and other municipalities. Occasionally, one reads about a city or a county that has filed for Chapter 9 relief, like Detroit, Michigan, or Orange County, California; however, it is very hard to file a Chapter 9 case, in part, because existing law requires a municipality to obtain permission from its home state before it can file for relief in the U.S. Bankruptcy Court. An additional constraint is that the only option municipalities have when seeking bankruptcy relief is to file a Chapter 9 because …


Front Matter Sep 2025

Front Matter

ACTEC Law Journal

No abstract provided.


Private Functional Wildlife Trusts, Stuart W. Babcock Sep 2025

Private Functional Wildlife Trusts, Stuart W. Babcock

ACTEC Law Journal

Public wildlife law is clear: wild animals exist and are managed for the public writ large. This is a mistake. Wild animals are beings of moral concern; their lives can be good or bad, better or worse, and they should be treated accordingly. This article explores a novel legal instrument which can account for wild animals' unique interests and circumstances: private wildlife trusts, in which wild animals are the trust beneficiaries. Wildlife trusts pose distinctive management and implementation challenges. This article aims to provide a path forward for wildlife advocates seeking new tools to protect wild animals and the habitats …