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2017
Taxes and Location of Targets
Taxing multinationals beyond borders: Financial and locational responses to CFC rules
The case for a border adjusted tax
The definitions of income
The Destination-Based Cash Flow Tax and the Double Tax Treaties
The future for tax: the next five years and beyond
The right tax at the right time
The role of transfer prices in profit-shifting by U.S. multinational firms: Evidence from the 2004 Homeland Investment Act
Three myths about tax and the self-employed
Transfer Pricing and the Arm's Length Principle after BEPS
Where does multinational investment go with Territorial Taxation
Pagination
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