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US Taxation of Foreign Income

Author

Listed:
  • Gary Clyde Hufbauer

    (Peterson Institute for International Economics)

  • Ariel Assa

Abstract

Since 1992, new issues have arisen in international taxation--for example, taxation of electronic commerce, novel means of shielding passive income, the World Trade Organization (WTO) debate over the foreign sales corporation and subsequent passage of the American Jobs Creation Act of 2004, the problem of corporate inversions, and alleged "earnings stripping" by foreign-based multinational enterprises (MNEs) operating in the United States. In the meantime, US-based MNEs operating abroad have used a variety of methods to cut the effective US tax on repatriated foreign source income to around 2 percent. This revised study analyzes the impact of taxes on industry location and profit shifting using new panel econometric studies. It also discusses and evaluates new paradigms that have been suggested for the international tax system.

Suggested Citation

  • Gary Clyde Hufbauer & Ariel Assa, 2007. "US Taxation of Foreign Income," Peterson Institute Press: All Books, Peterson Institute for International Economics, number 4051, April.
  • Handle: RePEc:iie:ppress:4051
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    Cited by:

    1. Kirkegaard, Jacob Funk, 2012. "Transactions: A New Look at Service Sector Foreign Direct Investment in Asia," ADB Economics Working Paper Series 318, Asian Development Bank.
    2. Omar Sebastián Cabrera Cabrera, 2016. "El Establecimiento Permanente: Especial Énfasis En La Cláusula De Agencia," Books, Universidad Externado de Colombia, Facultad de Derecho, number 849, October.

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