“The Games They Will Play: Tax Games, Roadblocks, and Glitches Under the 2017 Tax Legislation”

  • Tax Law
Minnesota Law Review
2019

“India’s New Profit Attribution Proposal and the Arm’s-Length Standard”

  • Tax Law
Tax Notes International
2019

“A U.S. DST? The Potential Impact of the Cloud Regulations”

  • Tax Law
Tax Notes International
2019

“If Not Now, When? US Tax Treaties with Latin America After TCJA”

  • Tax Law
International Tax Journal
2019

“US and Capital Flight”

  • Tax Law
דין ודברים [Haifa Law Review]
2019

“Toward a 21st-Century International Tax Regime”

  • Tax Law
Tax Notes International
2019

“Inter Vivos Transfers of Ownership in Family Firms”

  • Tax Law
International Tax and Public Finance
2019

“Complete Distributive Rules and the Single Tax Principle: A Review of Recent Italian Case Law”

  • Tax Law
Bulletin for International Taxation
2019

“Amazon Goldcrest Project and the Relevance of Comparability Analysis under the Arm’s Length Principle”

  • Tax Law
International Transfer Pricing Journal
2019

“A Global Treaty Override? The New OECD Multilateral Tax Instrument and Its Limits”

  • Tax Law
Michigan Journal of International Law
2018

“BEPS, ATAP, and the New Tax Dialogue: ‘A Transatlantic Competition?’ ”

  • Tax Law
Intertax
2018

“The International Implications of Wayfair”

  • Tax Law
Tax Notes
2018

“The Beat and Treaty Overrides: A Brief Response to Rosenbloom and Shaheen”

  • Tax Law
Tax Notes International
2018

“Does the United States Still Care About Complying with Its WTO Obligations?”

  • Tax Law
Columbia Journal of Tax Law. Tax Matters
2018

“China and BEPS”

  • Tax Law
Laws
2018

“Perils of Tax Reform”

  • Tax Law
National Tax Journal
2018

“Response to Dude, Where’s my Deduction?”

  • Tax Law
Columbia Journal of Tax Law — Tax Matters
2017

“Taking the First Bite: Who Should Tax Apple’s $187 Billion in Ireland?”

  • Tax Law
Michigan Tax Lawyer
2017

“Territoriality and the Original Intent of Subpart F”

  • Tax Law
Tax Notes
2017

“Proposals for International Tax Reform: Problem or Opportunity?”

  • International and Comparative Law
  • Tax Law
Challenge
2017

“Guilty as Charged: Reflections on TRA 17”

  • Tax Law
Tax Notes
2017

“Altera, the Arm’s Length Standard, and Customary International Tax Law”

  • Tax Law
Michigan Journal of International Law Opinio Juris
2017

“Tax Symposium: Introduction”

  • Tax Law
Michigan Journal of International Law
2017

“Business Tax Burdens and Tax Reform”

  • Tax Law
Brookings Papers on Economic Activity
2017

“Response to ‘Reverse Al Capone-ism’ and the Tax Treatment of Marijuana Businesses”

  • Tax Law
Columbia Journal of Tax Law – Tax Matters
2017

“Once More, With Feeling: TRA 17 and Original Intent of Subpart F”

  • Tax Law
Tax Notes
2017

“Problems with Destination-Based Corporate Taxes and the Ryan Blueprint”

  • Tax Law
Columbia Journal of Tax Law
2017

“Prompt on the Tax Treatment of a Marijuana Business”

  • Tax Law
Columbia Journal of Tax Law – Tax Matters
2017

“Evaluating BEPS”

  • Tax Law
Erasmus Law Review
2017

“A Tale of Two Cities: Washington, Brussels, and BEPS”

  • Tax Law
Tax Notes
2016

“International Tax Evasion and Avoidance”

  • International and Comparative Law
  • Tax Law
The American Prospect
2016

“Proposals for International Tax Reform: Is There a Middle Road?”

  • Tax Law
Tax Notes
2016

“Three Steps Forward, One Step Back? Reflection on ‘Google Taxes’ and the Destination-Based Corporate Tax”

  • Tax Law
Nordic Tax Journal
2016

“GAARs and the Nexus between Statutory Interpretation and the Legislative Drafting: Lessons for the U.S. from Canada”

  • Tax Law
Accounting, Economics, and Law: A Convivium
2016

“Hanging Together: A Multilateral Approach to Taxing Multinationals”

  • Tax Law
Michigan Business & Entrepreneurial Law Review
2016

“Apple State Aid Ruling: A Wrong Way to Enforce the Benefits Principle?”

  • Tax Law
Tax Notes International
2016

“Full Circle? The Single Tax Principle, BEPS, and The New US Model”

  • Tax Law
Global Taxation
2016

“Trade Credit and Taxes”

  • Tax Law
The Review of Economics and Statistics
2016

“Is Corporate Integration a Good Idea?”

  • Tax Law
Tax Notes
2016

“Multinational Firms and Tax Havens”

  • Tax Law
The Review of Economics and Statistics
2016

“Constructive Unilateralism: U.S. Leadership and International Taxation”

  • Tax Law
International Tax Journal
2016

“A Bipartisan Tax Reform?”

  • Tax Law
Tax Notes
2016

“Back to 1913?: The Ryan Blueprint and Its Problems”

  • Tax Law
Tax Notes
2016

“Are PILOTs Property Taxes on Nonprofits?”

  • Tax Law
Journal of Urban Economics
2016

“Country by Country Reporting and Corporate Privacy: Some Unanswered Questions”

  • Tax Law
Columbia Journal of Tax Law. Tax Matters
2016

“NFIB v. Sibelius and the Individual Mandate: Thoughts on the Tax/Regulation Distinction”

  • Tax Law
Michigan Business & Entrepreneurial Law Review
2016

“Evaluating BEPS: A Reconsideration of the Benefits Principle and Proposal for UN Oversight”

  • Tax Law
Harvard Business Law Review
2016

“Provisions Denying a Deduction for Illegal Expenses and Expenses of an Illegal Business Should Be Repealed”

  • Criminal Law
  • Tax Law
Florida Tax Review
2016

“Taxing Sales of Depreciable Assets”

  • Tax Law
Michigan Business & Entrepreneurial Law Review
2016

“Back to the Future? Medtronic and the Future of Transfer Pricing”

  • Tax Law
International Tax Journal
2016