International Tax Considerations: Inbound & Outbound (Slides),
2015
William & Mary Law School
International Tax Considerations: Inbound & Outbound (Slides), Seth Green
William & Mary Annual Tax Conference
No abstract provided.
Recent Developments In Virginia Taxation,
2015
William & Mary Law School
Recent Developments In Virginia Taxation, Craig D. Bell, William L.S Rowe
William & Mary Annual Tax Conference
No abstract provided.
Federal Tax Update,
2015
William & Mary Law School
Federal Tax Update, Stephen L. Owen
William & Mary Annual Tax Conference
No abstract provided.
Aligning The Stars -- Estate Planning For Entrepreneurs In Interesting Times,
2015
William & Mary Law School
Aligning The Stars -- Estate Planning For Entrepreneurs In Interesting Times, Stefan F. Tucker, Mary Ann Mancini, Tammara Langlieb
William & Mary Annual Tax Conference
No abstract provided.
21st Century State Taxation Of The Closely Held Business,
2015
William & Mary Law School
21st Century State Taxation Of The Closely Held Business, D. French Slaughter Iii, Duane Dobson
William & Mary Annual Tax Conference
No abstract provided.
2015 Schedule,
2015
William & Mary Law School
2015 Tax Conference Speakers,
2015
William & Mary Law School
2015 Tax Conference Speakers
William & Mary Annual Tax Conference
No abstract provided.
Let's Make A Deal! Business Succession Planning,
2015
William & Mary Law School
Let's Make A Deal! Business Succession Planning, John M. Olivieri, Stefan F. Tucker
William & Mary Annual Tax Conference
No abstract provided.
Getting Up To Speed On Partnership Basis Adjustments,
2015
William & Mary Law School
Getting Up To Speed On Partnership Basis Adjustments, James B. Sowell
William & Mary Annual Tax Conference
No abstract provided.
Corporate Tax Update,
2015
William & Mary Law School
Corporate Tax Update, Andrew F. Gordon, Lisa M. Zarlenga
William & Mary Annual Tax Conference
No abstract provided.
Curb Your Enthusiasm For Pigovian Taxes,
2015
Vanderbilt University Law School
Curb Your Enthusiasm For Pigovian Taxes, Victor Fleischer
Vanderbilt Law Review
Pigovian (or "corrective") taxes have been proposed or enacted on dozens of harmful products and activities: carbon, gasoline, fat, sugar, guns, cigarettes, alcohol, traffic, zoning, executive pay, and financial transactions, among others. Academics of all political stripes are mystified by the public's inability to see the merits of using Pigovian taxes more frequently to address serious social harms, some even calling for the creation of a "Pigovian state." This academic enthusiasm for Pigovian taxes should be tempered. A Pigovian tax is easy to design-as a uniform excise tax-if one assumes that each individual causes the same amount of harm with …
With Marriage On The Decline And Cohabitation On The Rise, What About Marital Rights For Unmarried Partners?,
2015
University of Michigan Law School
With Marriage On The Decline And Cohabitation On The Rise, What About Marital Rights For Unmarried Partners?, Lawrence W. Waggoner
Law & Economics Working Papers
Part I of this paper uses recent government data to trace the decline of marriage and the rise of cohabitation in the United States. Between 2000 and 2010, the population grew by 9.71%, but the husband and wife households only grew by 3.7%, while the unmarried couple households grew by 41.4%. A counter-intuitive finding is that the early 21st century data show little correlation between the marriage rate and economic conditions. Because of the Supreme Court’s decision in Obergefell v. Hodges (2015), same-sex marriage is now universally available to same-sex couples. Part I considers the impact of same-sex marriage on …
Becker V. Becker, 131 Nev. Adv. Op. 85 (Oct. 29, 2015),
2015
Nevada Law Journal
Becker V. Becker, 131 Nev. Adv. Op. 85 (Oct. 29, 2015), Paul George
Nevada Supreme Court Summaries
In response to a certified question by the United States Bankruptcy Court for the District of Nevada, the Court concluded that under NRS 21.090(1)(bb) a debtor can exempt his stock in the corporations described in NRS 78.746(2), but his economic interest in that stock is still subject to the charging order remedy in NRS 78.746(1).
Parting The Dark Money Sea: Exposing Politically Active Tax-Exempt Groups Through Fec-Irs Hybrid Enforcement,
2015
William & Mary Law School
Parting The Dark Money Sea: Exposing Politically Active Tax-Exempt Groups Through Fec-Irs Hybrid Enforcement, Carrie E. Miller
William & Mary Law Review
No abstract provided.
Delegating Tax,
2015
University of Michigan Law School
Delegating Tax, James R. Hines Jr., Kyle D. Logue
Michigan Law Review
Congress delegates extensive and growing lawmaking authority to federal administrative agencies in areas other than taxation, but tightly limits the scope of Internal Revenue Service (IRS) and Treasury regulatory discretion in the tax area, specifically not permitting these agencies to select or adjust tax rates. This Article questions why tax policy does and should differ from other policy areas in this respect, noting some of the potential policy benefits of delegation. Greater delegation of tax lawmaking authority would allow administrative agencies to apply their expertise to fiscal policy and afford timely adjustment to changing economic circumstances. Furthermore, delegation of the …
Should Apb 23 Indefinite Reinvestment Be Repealed?,
2015
Villanova University School of Law
Should Apb 23 Indefinite Reinvestment Be Repealed?, J. Richard Harvey
Working Paper Series
A recent letter to FASB suggested that APB 23 should be repealed. Although there is a clear lack of application guidance surrounding APB 23, repeal is not justified. Instead, FASB should address several practical uncertainties that have effectively allowed U.S. MNCs to make whatever APB 23 assumption best suits their needs.
Given that many U.S. MNCs have shifted substantial amounts of income to low-tax foreign jurisdictions and may need those foreign earnings back in the U.S. relatively soon, it is important for FASB to address these issues. If not, aggressive MNCs may continue to assert indefinite reinvestment when in fact …
Improving The Legal Implementation Mechanisms For A Carbon Tax In China,
2015
Tsinghua University, School of Law
Improving The Legal Implementation Mechanisms For A Carbon Tax In China, Haifeng Deng
Pace Environmental Law Review
Within the framework of existing Chinese environmental laws, carbon taxation faces four main challenges: the contradiction of existing taxes, conflict with the carbon emissions trading system, necessary adjustments to the organizational structure of tax collection and management, and coordination with international trade rules. Implementing a carbon tax is a complete and systematic process containing three stages: introduction, collection, and impacts assessment. In order to address these problems, it is necessary to construct legal implementation mechanisms for carbon taxation in China. The legal mechanisms of implementing a carbon tax include a series of coordination and safeguard measures aimed at optimizing the …
Constitutional Law, Import-Export Clause: Non-Discriminatory, Fairly Apportioned Excise Tax Applied To Stevedoring Companies Loading And Unloading Goods In Imports And Export Transit Does Not Constitute An Import Or Duty Within The Prohibition Of The Import-Export Clause,
2015
University of Georgia School of Law
Constitutional Law, Import-Export Clause: Non-Discriminatory, Fairly Apportioned Excise Tax Applied To Stevedoring Companies Loading And Unloading Goods In Imports And Export Transit Does Not Constitute An Import Or Duty Within The Prohibition Of The Import-Export Clause, Tony G. Mills
Georgia Journal of International & Comparative Law
No abstract provided.
Tax Incentives To Exportation: Alternatives To Disc,
2015
University of Georgia School of Law
Tax Incentives To Exportation: Alternatives To Disc, Timothy A. Peterson
Georgia Journal of International & Comparative Law
No abstract provided.
Through The Antiboycott Morass To An Export Priority,
2015
University of Georgia School of Law
Through The Antiboycott Morass To An Export Priority, Mark D. Menefee, Don Samuel
Georgia Journal of International & Comparative Law
No abstract provided.
