The new non-territorial U.S international tax system
The occurrence of tax amnesties: theory and evidence
The power of dynastic commitment
The Quasi-Global GILTI Tax
The Revenue Consequences of Introducing a Destination-based Cash Flow Tax in Uganda
The right tax at the right time
The Rise of Inequality and the fall of Tax Equity
The role of headquarters in multinational profit shifting strategies
The role of the corporate income tax as an automatic stabiliser
The role of transfer prices in profit-shifting by U.S. multinational firms: Evidence from the 2004 Homeland Investment Act
The spillover effects of outward foreign direct investment on home countries: evidence from the United States
The Tax Base for CCCTB: The Role of Principles
The tax treatment of debt and equity
The taxation of foreign profits
The taxation of non-profit organizations after Stauffer
The Three Distributive Questions of (a Non-Ideal) Tax Theory
The Use of Accounting Information in the Tax Base in the Pillar 2 Global Minimum Tax: A Discussion of the Rules, Potential Problems, and Possible Alternatives
The use of neutralities in international tax policy
The Value Creation Mythology
There's No Place Like Home: The Profitability Gap between Headquarters and their Foreign Subsidiaries
Thin capitalization rules and multinational firm capital structure
Thin Capitalization Rules in the Context of the CCCTB
Towards a theory of trade finance
Transfer pricing and the intensity of tax rate competition