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Preface
Acknowledgments
1. Introduction
2. Corporate Taxation
3. Traditional Tax Doctrine for Foreign Income
4. Residence Taxation for Portfolio Investment Income
5. Multinational Firms in the World Economy
6. Agenda for Modest Reform: A Territorial System
Appendix A1 History of US Taxation of Foreign Income of US Corporations (Excluding Merchandise Export Income)
Appendix A2 History of US Foreign Tax Credit Limitations
Appendix A3 History of US Deferral of Current Taxation of Controlled Foreign Corporations
Appendix A4 History of US Taxation of Merchandise Export Income
Appendix A5 History of US Taxation of Foreign Corporations Doing Business in the United States
Appendix A6 History of Source-of-Income Rules Prior to the Tax Reform Act of 1986
Appendix A7 Comparison of Source-of-Income Rules Before and After the Tax Reform Act of 1986
Appendix A8 Allocation-of-Expenses Rules
Appendix A9 History of Rules for Intercompany Pricing Between US and Affiliated Foreign Corporations
Appendix B Methods for Reducing Corporate Income Taxes
Appendix C1 A Simple Model of World Portfolio Capital Flows
Appendix C2 Temporary Taxes on Portfolio Capital
Appendix C3 Conditions for Reimbursement of the Backup Withholding Tax
Appendix D The Simple Economics of Imperfect Competition
Appendix E Electronic Commerce
Appendix F Revenue on Foreign Investment in the United States References
Index