“The Games They Will Play: Tax Games, Roadblocks, and Glitches Under the 2017 Tax Legislation”
- Tax Law
Minnesota Law Review
2019
Tax Notes International
2019
Tax Notes International
2019
International Tax Journal
2019
דין ודברים [Haifa Law Review]
2019
Tax Notes International
2019
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
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
Laws
2018
National Tax Journal
2018
Columbia Journal of Tax Law — Tax Matters
2017
Michigan Tax Lawyer
2017
Tax Notes
2017
“Proposals for International Tax Reform: Problem or Opportunity?”
- International and Comparative Law
- Tax Law
Challenge
2017
Tax Notes
2017
Michigan Journal of International Law Opinio Juris
2017
Michigan Journal of International Law
2017
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
Tax Notes
2017
“Problems with Destination-Based Corporate Taxes and the Ryan Blueprint”
- Tax Law
Columbia Journal of Tax Law
2017
Columbia Journal of Tax Law – Tax Matters
2017
Erasmus Law Review
2017
“A Tale of Two Cities: Washington, Brussels, and BEPS”
- Tax Law
Tax Notes
2016
The American Prospect
2016
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
Michigan Business & Entrepreneurial Law Review
2016
“Apple State Aid Ruling: A Wrong Way to Enforce the Benefits Principle?”
- Tax Law
Tax Notes International
2016
Global Taxation
2016
The Review of Economics and Statistics
2016
“Is Corporate Integration a Good Idea?”
- Tax Law
Tax Notes
2016
The Review of Economics and Statistics
2016
International Tax Journal
2016
Tax Notes
2016
Tax Notes
2016
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
Michigan Business & Entrepreneurial Law Review
2016
International Tax Journal
2016