Advising Venture & Early-Stage Client: Issues Confronting Early-Stage Companies,
2014
William & Mary Law School
Advising Venture & Early-Stage Client: Issues Confronting Early-Stage Companies, Carroll D. Hurst
William & Mary Annual Tax Conference
No abstract provided.
2014 Tax Conference Forms,
2014
William & Mary Law School
2014 Tax Conference Speakers,
2014
William & Mary Law School
2014 Tax Conference Speakers
William & Mary Annual Tax Conference
No abstract provided.
Reclassification Risks For Compensation Paid By S And C Corporations To Shareholder-Employees,
2014
William & Mary Law School
Reclassification Risks For Compensation Paid By S And C Corporations To Shareholder-Employees, Stephen R. Looney
William & Mary Annual Tax Conference
No abstract provided.
Working With The Section 752 Partnership Liability Allocation Rules (Outline),
2014
William & Mary Law School
Working With The Section 752 Partnership Liability Allocation Rules (Outline), Jennifer H. Alexander, Andrea M. Whiteway
William & Mary Annual Tax Conference
No abstract provided.
Structuring And Restructuring Deals In 2014 (And Beyond),
2014
William & Mary Law School
Structuring And Restructuring Deals In 2014 (And Beyond), Stephen L. Owen
William & Mary Annual Tax Conference
No abstract provided.
Strange Bedfellows: The Federal Constitution, Out-Of-State Nongrantor Accumulation Trusts, And The Complete Avoidance Of State Income Taxation,
2014
Vanderbilt University Law School
Strange Bedfellows: The Federal Constitution, Out-Of-State Nongrantor Accumulation Trusts, And The Complete Avoidance Of State Income Taxation, Jeffrey Schoenblum
Vanderbilt Law Review
With the maximum rate of federal income tax at 39.6 percent, the Medicare surtax on investment income of 3.8 percent, and some state income tax rates exceeding 9 percent, taxpayers in the highest brackets have been seeking to develop strategies to lessen the tax burden. One strategy that has been receiving increased attention is the use of a highly specialized trust known as the NING, a Nevada incomplete gift nongrantor trust, which eliminates state income taxation of investment income altogether without generating additional federal income or transfer taxes. A major obstacle standing in the way of accomplishing this objective, however, …
Modernizing The Revenue Rule: The Enforcement Of Foreign Tax Judgments,
2014
United States Court of International Trade
Modernizing The Revenue Rule: The Enforcement Of Foreign Tax Judgments, Barbara A. Silver
Georgia Journal of International & Comparative Law
No abstract provided.
Gatt/Wto Rules For Border Tax Adjustment And The Proposed European Directive Introducing A Tax On Carbon Dioxide Emissions And Energy,
2014
Institute of Public International, European and Foreign Public Law, Free University of Berlin
Gatt/Wto Rules For Border Tax Adjustment And The Proposed European Directive Introducing A Tax On Carbon Dioxide Emissions And Energy, Christian Pitschas
Georgia Journal of International & Comparative Law
No abstract provided.
Organizations, Reorganizations, Amalgamations, Divisions And Dissolutions: Cross-Border Assets, Double Taxation And Potential Relief Under The U.S.-Canada Tax Treaty,
2014
University of Calgary, Alberta
Organizations, Reorganizations, Amalgamations, Divisions And Dissolutions: Cross-Border Assets, Double Taxation And Potential Relief Under The U.S.-Canada Tax Treaty, Catherine A. Brown, Christine Manolakas
Georgia Journal of International & Comparative Law
No abstract provided.
For Sale--One Level 5 Barbarian For 94,800 Won: The International Effects Of Virtual Property And The Legality Of Its Ownership,
2014
University of Georgia School of Law
For Sale--One Level 5 Barbarian For 94,800 Won: The International Effects Of Virtual Property And The Legality Of Its Ownership, Alisa B. Steinberg
Georgia Journal of International & Comparative Law
No abstract provided.
Probability, Professionalism, And Protecting Taxpayers,
2014
Brooklyn Law School
Probability, Professionalism, And Protecting Taxpayers, Bradley T. Borden, Dennis J. Ventry, Jr.
Faculty Scholarship
No abstract provided.
Profile - The Jacques Marchais Museum Of Tibetan Art,
2014
New York Law School
Profile - The Jacques Marchais Museum Of Tibetan Art, James Hagy, Kelly Cooper
Rooftops Project
Picture yourself leading a museum tucked into a 21st-century residential neighborhood, housed in a mid-20th-century building, mimicking a 16th-century Tibetan monastery, containing priceless art objects crossing a millennium. The Rooftops Project’s Kelly Cooper and Professor James Hagy visit the Jacques Marchais Museum of Tibetan Art on Staten Island, New York.
Alms To The Rich: The Facade Easement Deduction,
2014
University of Baltimore School of Law
Alms To The Rich: The Facade Easement Deduction, Wendy G. Gerzog
All Faculty Scholarship
This article presents the case for repeal of the façade easement deduction. Proponents of this benefit argue that the deduction encourages historic preservation by reimbursing property owners for relinquishing their right to alter the façade of their property in a way inconsistent with that conservation goal; however, this article shows that there are many reasons to urge its repeal: the revenue loss, the small number of beneficiaries, the financial demographics of that group of beneficiaries; the dubious industries that are supported by the deduction; and the continual marked overvaluation and abuse despite Congressional, court, and administrative review and expense.
After …
Profile - The Jewish Reconstructionist Congregation, Evanston, Illinois,
2014
New York Law School
Profile - The Jewish Reconstructionist Congregation, Evanston, Illinois, James Hagy, Carlee Cooper
Rooftops Project
A religious congregation envisions a new building better suited to its needs than its existing facility. But the location is perfect at its present suburban property. How might it start over while also observing green design principles? Rooftops Project team member Carlee Cooper and Professor James Hagy tour the new home of the Jewish Reconstructionist Congregation in Evanston, Illinois, with Michael Ross of Ross Barney Architects. It is the first place of worship in the United States to receive a LEED Platinum designation.
The Oecd’S Flawed And Dated Approach To Computer Servers Creating Permanent Establishments,
2014
University of Florida Levin College of Law
The Oecd’S Flawed And Dated Approach To Computer Servers Creating Permanent Establishments, Monica Gianni
UF Law Faculty Publications
As the digital economy changes the way that we do business, tax laws have been challenged to adapt appropriately to this nontraditional business method. International tax rules were developed in a different technological era. To accommodate electronic commerce, existing tax rules either have to be applied to electronic-commerce transactions, or new rules have to be developed. The Organisation for Economic Co-operation and Development (OECD) has taken the lead in studying and recommending appropriate international taxation rules for electronic commerce.
This Article focuses on the original central tax issue that the OECD considered—jurisdiction to tax income from electronic commerce based on …
Reconciling Tax Law And Securities Regulation,
2014
University of Florida Levin College of Law
Reconciling Tax Law And Securities Regulation, Omri Y. Marian
UF Law Faculty Publications
Issuers in registered securities offerings must disclose the expected tax consequences to investors investing in the offered securities (“nonfinancial tax disclosure”). This Article advances three arguments regarding nonfinancial tax disclosures. First, nonfinancial tax disclosure practice, as the Securities and Exchange Commission (the SEC) has sanctioned it, does not fulfill its intended regulatory purposes. Currently, nonfinancial tax disclosures provide irrelevant information, sometimes fail to provide material information, create unnecessary transaction costs, and divert valuable administrative resources to the enforcement of largely-meaningless requirements. Second, the practical reason for this failure is the SEC and tax practitioners’ unsuccessful attempt to address investors’ heterogeneous …
Charitable Giving And Utilitarianism: Problems And Priorities,
2014
University of San Diego Law School
Charitable Giving And Utilitarianism: Problems And Priorities, Miranda Perry Fleischer
Indiana Law Journal
Charitable giving is redistributive at heart. It is thus surprising that scholarship on the charitable tax subsidies focuses on the efficient and pluralistic production of public goods while largely ignoring distributive justice concerns. Existing scholarship and current law leave crucial questions unanswered: How should we prioritize among charities? Should subsidized groups be required to help the poor? Are criticisms that charities do too little to help the poor valid? This Article is part of a series that examines how each common theory of distributive justice would answer these questions.
More specifically, this Article explores utilitarianism and the charitable tax subsidies …
The Medical Device Excise Tax: An Unfair Burden,
2014
Indiana University Maurer School of Law
The Medical Device Excise Tax: An Unfair Burden, Elizabeth M. Bolka
Indiana Law Journal
No abstract provided.
Marriage Pluralism: Taxing Marriage After Windsor,
2014
Valparaiso University
Marriage Pluralism: Taxing Marriage After Windsor, David J. Herzig
Law Faculty Publications
No abstract provided.
