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7,747 full-text articles. Page 76 of 197.

Kaestner Fails: The Way Forward, Mitchell M. Gans 2020 William & Mary Law School

Kaestner Fails: The Way Forward, Mitchell M. Gans

William & Mary Business Law Review

This past term, the Supreme Court applied the Due Process Clause to prevent the states from closing down a tax strategy that employs out-of-state trusts. Many had hoped that the case would serve as a vehicle for the Court to overrule taxpayer-friendly precedents that make the strategy possible. But it failed. The question that emerges is whether the decision leaves the states with a path to address the strategy and thereby prevent it from being used to exacerbate issues of inequality. After examining the decision, this Article considers the options available to the states and then suggests a way forward.


To Be A B Certified Benefit Corporation Or Not To Be, Emma Lloyd Best, Marcy R. Binkley 2020 Wake Forest University

To Be A B Certified Benefit Corporation Or Not To Be, Emma Lloyd Best, Marcy R. Binkley

The Contemporary Tax Journal

No abstract provided.


The Contemporary Tax Journal's Interview With Mr. Robert J. Kovacev, Liubov (Luba) Shilkova 2020 San Jose State University

The Contemporary Tax Journal's Interview With Mr. Robert J. Kovacev, Liubov (Luba) Shilkova

The Contemporary Tax Journal

No abstract provided.


Front Matter (Letter From The Editor, Masthead, Etc.), 2020 San Jose State University

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

The Contemporary Tax Journal

No abstract provided.


A Peruvian Tax Lawyer In A U.S. Corporate Tax Class: What Can Be Explained And What Cannot Be Explained, Fernando J. Loayza Jordán 2020 Yale Law School

A Peruvian Tax Lawyer In A U.S. Corporate Tax Class: What Can Be Explained And What Cannot Be Explained, Fernando J. Loayza Jordán

The Contemporary Tax Journal

No abstract provided.


H.R. 5457 Carbon Reduction And Tax Credit Act, Madhuri Lanka CMA 2020 San Jose State University

H.R. 5457 Carbon Reduction And Tax Credit Act, Madhuri Lanka Cma

The Contemporary Tax Journal

No abstract provided.


The Contemporary Tax Journal Volume 9, No. 2 – Summer 2020, 2020 San Jose State University

The Contemporary Tax Journal Volume 9, No. 2 – Summer 2020

The Contemporary Tax Journal

No abstract provided.


Fun Tax Facts, Rachana Khandelwal 2020 San Jose State University

Fun Tax Facts, Rachana Khandelwal

The Contemporary Tax Journal

No abstract provided.


Cpa Exam Sample Questions, 2020 San Jose State University

Cpa Exam Sample Questions

The Contemporary Tax Journal

No abstract provided.


Strategic Nonconformity, State Corporate Income Taxes, And The Tcja: Part Ii, David Gamage, Darien Shanske, Adam Thimmesch 2020 University of Missouri School of Law

Strategic Nonconformity, State Corporate Income Taxes, And The Tcja: Part Ii, David Gamage, Darien Shanske, Adam Thimmesch

Faculty Publications

States will soon be facing dire revenue needs because of COVID-19. This article is part of Project SAFE (State Action in Fiscal Emergencies), an academic effort to help states weather the fiscal crisis by providing policy recommendations

backed by research.1 As we have explained previously,2 in the absence of sufficient federal action, states should prioritize raising revenue through targeted taxes on economic actors that are best enduring the crisis, rather than cutting services needed to protect their economies or residents suffering more from the crisis. Here we focus on how states could raise revenue by rethinking whether and how to …


A Taxing Dilemma: Robot Taxes And The Challenges Of Effective Taxation Of Ai, Automation And Robotics In The Fourth Industrial Revolution, Robert J. Kovacev 2020 San Jose State University

A Taxing Dilemma: Robot Taxes And The Challenges Of Effective Taxation Of Ai, Automation And Robotics In The Fourth Industrial Revolution, Robert J. Kovacev

The Contemporary Tax Journal

No abstract provided.


Strategic Nonconformity To The Tcja, Part I: Personal Income Taxes, Darien Shanske, Adam Thimmesch, David Gamage 2020 University of California, Davis

Strategic Nonconformity To The Tcja, Part I: Personal Income Taxes, Darien Shanske, Adam Thimmesch, David Gamage

Articles by Maurer Faculty

The dire revenue situation that COVID-19 has created for state and local governments is a well documented and looming reality for state legislatures. We and others have explored a variety of ways that states should respond to this crisis in prior articles as a part of Project SAFE (State Action in Fiscal Emergencies), an academic effort to help states weather the fiscal crisis by providing policy recommendations backed by research. We think, as do many others, that in the absence of sufficient federal action, the states should prioritize raising revenue through targeted taxes on economic actors that are best enduring …


"Do Lawyers Need Economists?" Review Of Economic Transplants: On Lawmaking For Corporations And Capital Markets, Reuven S. Avi-Yonah 2020 University of Michigan Law School

"Do Lawyers Need Economists?" Review Of Economic Transplants: On Lawmaking For Corporations And Capital Markets, Reuven S. Avi-Yonah

Reviews

Katja Langenbucher’s outstanding book seeks to address the question of why and in what ways have lawyers been importing economic theories into a legal environment, and how has this shaped scholarly research, judicial and legislative work? Since the financial crisis, corporate or capital markets law has been the focus of attention by academia and media. Formal modelling has been used to describe how capital markets work and, later, has been criticized for its abstract assumptions. Empirical legal studies and regulatory impact assessments offered different ways forward. This excellent book presents a new approach to the risks and benefits of interdisciplinary …


Taxation Of Intangibles, Jinyan Li, Angelo Nikolakakis 2020 Osgoode Hall Law School of York University

Taxation Of Intangibles, Jinyan Li, Angelo Nikolakakis

Articles & Book Chapters

This paper examines the tax treatment of intangibles in Canada and recent developments internationally. It suggests that the special features of intangibles and the rapid rise of intangibles as value-drivers in the global economy may render existing tax rules inadequate in defining Canada’s tax base and/or competing for investment in research and development in Canada. Recent developments at the international level (such as the BEPS Project) and national level (such as US 2018 tax reform and changes in Japan, UK and China to implement BEPS recommendations) may point to some directions for Canada to consider.


Basis And Bargain Sales: Income Tax And Other Concerns, Bridget J. Crawford, Jonathan G. Blattmachr 2020 Elisabeth Haub School of Law at Pace University

Basis And Bargain Sales: Income Tax And Other Concerns, Bridget J. Crawford, Jonathan G. Blattmachr

Elisabeth Haub School of Law Faculty Publications

In this article, the authors explain the income tax consequences of the sale during lifetime and at death of property for less than fair market value. The authors focus in particular on the tax consequences of a bargain sale by a transferor who wishes to confer some financial benefit on a family member, but leave the rest of her estate to charity. Generally speaking, death-time bargain sales may be preferable to similar transactions during lifetime, if the assets have a low basis pre-death, because of the step up in income tax basis under section 1014. The authors also discuss in …


Digitalization And International Tax Dispute Resolution: A Window Of Opportunity For Britacom, Jinyan Li, Nathan Jin Bao, Shanghua Hu, Wei Hu, Matias Zerbino 2020 Osgoode Hall Law School of York University

Digitalization And International Tax Dispute Resolution: A Window Of Opportunity For Britacom, Jinyan Li, Nathan Jin Bao, Shanghua Hu, Wei Hu, Matias Zerbino

Articles & Book Chapters

Digitisation technologies are facilitating and transforming tax administration and dispute resolution in various ways. This paper presents some existing and emerging best practices in digitalized tax administration and smart dispute resolution. Inspired by the objectives of the Belt & Road Initiative and BRITACOM and these best practices, this paper suggests that BRITACOM take advantage of digitisation and seize upon the unprecedented opportunity to create a digitalized mechanism for resolving cross-border tax disputes among Belt & Road jurisdictions.


Revisiting The Automation Tax Debate In Light Of Covid-19 And Resulting Structural Unemployment, Vincent OOI 2020 Singapore Management University

Revisiting The Automation Tax Debate In Light Of Covid-19 And Resulting Structural Unemployment, Vincent Ooi

Research Collection Yong Pung How School Of Law

As lockdowns ease around the globe and businesses reopen, the threat of jobs being automated by machines and workers being displaced as a result has significantly increased. Businesses must keep the number of workers on site to a minimum to comply with safe distancing measures. Under these constraints while social distancing remains the norm, automation might be the way forward for companies that still want to continue production while minimising human contact. The threat of a workforce being replaced by robots and automation, a threat that has already alarmed the labour movement, is heightened with Covid-19. There will be considerable …


The Tax Treatment Of Haircuts In Financial Reorganizations, Aurelio GURREA-MARTINEZ, Vincent OOI 2020 Singapore Management University

The Tax Treatment Of Haircuts In Financial Reorganizations, Aurelio Gurrea-Martinez, Vincent Ooi

Research Collection Yong Pung How School Of Law

Over the past few years, Singapore has implemented various ambitious insolvency reforms aimed at making the country an international hub for debt restructuring. This article argues that while Singapore has put in place one of the most sophisticated restructuring frameworks in the world, some tax reforms might be useful to maximise the potential of this new restructuring framework. Namely, it will be pointed out that the tax treatment of debt forgiveness granted by creditors in corporate reorganisation (‘haircuts’) should be reviewed. Under the current legislation, these haircuts may be treated as taxable income. As a result, financially distressed debtors may …


Portrait Of A Tax Transplant Artist, Kim Brooks 2020 Schulich School of Law, Dalhousie University

Portrait Of A Tax Transplant Artist, Kim Brooks

Articles, Book Chapters, & Popular Press

This article explores the process of norm migration through the study of one tax expert, Victor Thuronyi. It situates the literature on the role of experts in tax norm migration and identifies core themes and gaps in the tax transplant literature; explores five themes, connected to the literature on the role of tax experts and tax transplants, that arise from a study of Victor Thuronyi’s contributions to tax transplantation; and concludes with some reflections on the benefits and challenges of having highly specialized, non-insider tax experts engaged in the exercise of drafting tax laws.


The Political Economy Of Nigeria’S Digital Tax Experiment, Okanga Ogbu Okanga 2020 Dalhousie University Schulich School of Law

The Political Economy Of Nigeria’S Digital Tax Experiment, Okanga Ogbu Okanga

Articles, Book Chapters, & Popular Press

In January 2020 when I first read Nigeria’s Finance Act 2019, one of the instinctive questions that came to me was “is Nigeria serious about taxing digital trade now”? There were a few reasons for this skepticism. First, the Act seeks to tax nonresident companies (NRCs) that have a “significant economic presence” (SEP) in Nigeria but then delegates the definition of that pivotal phrase. Second, I questioned how Nigeria can enforce/administer this unilateral tax, which is payable by companies outside its borders. Third, I imagined that Nigeria’s unilateral attempt to tax digital trade could undermine relations with a strategic …


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