“The Transitional Period and its Impact on Tax Competition and the Implementation of the BEPS Project”
- Tax Law
The Implementation of Anti-BEPS Rules in the EU: A Comprehensive Study
2018
Foreword to Corporate Taxation and Social Responsibility
- Tax Law
Corporate Taxation and Social Responsibility
2018
“Does the United States Still Care About Complying with Its WTO Obligations?”
- Tax Law
Columbia Journal of Tax Law. Tax Matters
2018
“Be Careful What You Wish For? Reducing Inequality in the 21st Century”
- Human Rights
- Tax Law
Michigan Law Review
2018
Laws
2018
Tax Notes International
2018
Michigan Journal of International Law Opinio Juris
2017
Tax Notes
2017
Capital Gains Taxation: A Comparative Analysis of Key Issues
2017
Taxing Multinational Enterprises as Unitary Firms
2017
Michigan Tax Lawyer
2017
“Are Taxes Converging?”
Tax Notes International
2017
Tax Notes
2017
“Proposals for International Tax Reform: Problem or Opportunity?”
- International and Comparative Law
- Tax Law
Challenge
2017
Tax Sovereignty in the BEPS Era
2017
“International Tax Avoidance -- Introduction”
- International and Comparative Law
- Tax Law
Accounting, Economics, and Law: A Convivium
2017
Michigan Journal of International Law
2017
“The Trump Tax Reform Plan: Implications for Europe”
Bulletin for International Taxation
2017
“Problems with Destination-Based Corporate Taxes and the Ryan Blueprint”
- Tax Law
Columbia Journal of Tax Law
2017
Erasmus Law Review
2017
Understanding the Company: Corporate Governance and Theory
2017
Tax Notes
2017
International Tax Journal
2016
“A Tale of Two Cities: Washington, Brussels, and BEPS”
- Tax Law
Tax Notes
2016
“A Proposal for Unitary Taxation and Formulary Apportionment (UT+FA) to Tax Multinational Enterprises”
- Tax Law
Global Tax Governance: What Is Wrong With It and How to Fix It
2016
Global Tax Fairness
2016
“International Taxation of Electronic Commerce”
- International and Comparative Law
- Tax Law
International Tax Law
2016
The American Prospect
2016
“Apple State Aid Ruling: A Wrong Way to Enforce the Benefits Principle?”
- Tax Law
Tax Notes International
2016
Michigan Business & Entrepreneurial Law Review
2016
“Is Corporate Integration a Good Idea?”
- Tax Law
Tax Notes
2016
Tax Notes
2016
“The International Tax Regime: A Centennial Reconsideration”
Global Taxation
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
Global Taxation
2016
“The Structure of International Taxation: A Proposal for Simplification”
- Tax Law
International Tax Law
2016
International Tax Law
2016
2016
Tax Notes
2016
Tax Notes
2016
“Globalization, Tax Competition, and the Fiscal Crisis of the Welfare State”
- Tax Law
International Tax Law
2016
“Evaluating BEPS: A Reconsideration of the Benefits Principle and Proposal for UN Oversight”
- Tax Law
Harvard Business Law Review
2016
Tax Notes
2016
Introduction to International Tax Law
- Tax Law
International Tax Law
2016
International Tax Journal
2016
Foreword to Ten Years of Tax: A Celebration of Professor Michael Littlewood’s First Decade at the University of Auckland Faculty of Law, 2003-2013
- Tax Law
Ten Years of Tax: A Celebration of Professor Michael Littlewood’s First Decade at the University of Auckland Faculty of Law, 2003-2013
2016
“Country by Country Reporting and Corporate Privacy: Some Unanswered Questions”
- Tax Law
Columbia Journal of Tax Law. Tax Matters
2016
Comparative Fiscal Federalism
- Tax Law
2016
“Shire/Baxalta Is Not a Tax-Driven Deal, Writer Says”
- Tax Law
Tax Notes International
2015