“Tax Symposium: Introduction”

  • Tax Law
Michigan Journal of International Law
2017

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

  • Tax Law
Columbia Journal of Tax Law
2017

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

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

“Business Tax Burdens and Tax Reform”

  • Tax Law
Brookings Papers on Economic Activity
2017

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

  • Tax Law
Tax Notes
2017

“Evaluating BEPS”

  • Tax Law
Erasmus Law Review
2017

“Prompt on the Tax Treatment of a Marijuana Business”

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

“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

“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

“Provisions Denying a Deduction for Illegal Expenses and Expenses of an Illegal Business Should Be Repealed”

  • Criminal Law
  • Tax Law
Florida Tax Review
2016

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

  • Tax Law
Harvard Business Law Review
2016

“Are PILOTs Property Taxes on Nonprofits?”

  • Tax Law
Journal of Urban Economics
2016

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

  • Tax Law
Michigan Business & Entrepreneurial Law Review
2016

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

  • Tax Law
Columbia Journal of Tax Law. Tax Matters
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

“All or Nothing? The Obama Budget Proposals and BEPS”

  • Tax Law
International Tax Journal
2015

“Past Due: The Michigan Department of Treasury Needs to Update its Income Exempt from Levy Amounts”

  • Tax Law
Michigan Tax Lawyer
2015

“Inversions and Competitiveness: Reflections in the Wake of Pfizer-Allrgan”

  • Tax Law
International Tax Journal
2015

“The Case for Destination-Based Corporate Tax”

  • Tax Law
International Tax Journal
2015

“Too Big to Tax? Vanguard and the Arm’s Length Standard”

  • Tax Law
Tax Notes
2015

“[Japanese Title Goes Here] Corporate Social Responsibility and Strategic Tax Behavior”

  • Tax Law
[Japanese Characters] [Journal of Osaka University of Economics]
2015

“Avi-Yonah Finds Fault With U.S. International Reform Report”

  • Tax Law
Tax Notes International
2015

“Leveling the Playing Field: The Case for an Education VAT”

  • Tax Law
Tax Notes
2015

“The Rise and Fall of the Consumption Tax”

  • Tax Law
Tax Notes
2015

“Understanding the AMT, and Its Unadopted Sibling, the AMxT”

  • Tax Law
Journal of Legal Analysis
2014

“How Serious Is the Problem of Base Erosion and Profit Shifting?”

  • Tax Law
Canadian Tax Journal
2014

“Reflections on the ‘New Wave’ Inversions and Notice 2014-52”

  • Tax Law
Tax Notes International
2014

“Corporate Taxation and Corporate Social Responsibility”

  • Tax Law
New York University Journal of Law & Business
2014

“The Devil in the Details: Reflections on the Camp Draft”

  • Tax Law
Tax Notes International
2014

“Back from the Dead: Reviving Transfer Pricing Enforcement”

  • Tax Law
Tax Notes International
2014

“And Yet It Moves: Taxation and Labor Mobility in the Twenty-First Century”

  • Tax Law
Tax Law Review
2014

“How Important Are Perpetual Tax Savings?”

  • Tax Law
Tax Policy and the Economy
2013

“Arguments For and Against Territoriality”

  • Tax Law
Tax Notes
2013

“Should the U.S. Dictate World Tax Policy? Reflections on PPL Corporation v. Commissioner”

  • Tax Law
Tax Notes International
2013

“Who Offers Tax-Based Business Development Incentives?”

  • Tax Law
Journal of Urban Economics
2013

“The Redistributive Potential of Transfer Taxation”

  • Tax Law
Public Finance Review
2013

“Should the US Dictate World Tax Policy? Reflections on PPL”

  • Tax Law
Tax Notes
2013

“Why Y? Reflections on the Baucus Proposal”

  • Tax Law
Tax Notes International
2013

“Income and Substitution Effects of Estate Taxation”

  • Tax Law
American Economic Review
2013

“Corporate and International Tax Reform: Proposals for the Second Obama Administration (and Beyond)”

  • Tax Law
Pepperdine Law Review
2013

“Territoriality: For and Against”

  • Tax Law
Tax Notes International
2013

“Retirees Beware: Don’t Worry About the British-- 2013 is Coming”

  • Tax Law
Tax Notes
2012

“US Treaty Anti-Avoidance Rules: An Overview and Assessment”

  • Tax Law
Bulletin for International Taxation
2012

“The Effective Tax Rate of the Largest US and EU Multinationals”

  • Tax Law
Tax Law Review
2012

“Vive La Petite Difference: Camp, Obama, and Territoriality Reconsidered”

  • Tax Law
Tax Notes International
2012