“UTPR’s Dynamic Connection to Customary International Tax Law”

Tax Notes International
2022

“Taxes in the Time of Coronavirus: Is It Time to Revive the Excess Profits Tax?”

American Prospect
2022

“New Developments on US Treaty Overrides”

British Tax Review
2022

“Why Does the United States Need the Global Minimum Tax?”

International Tax Journal
2022

“Corporate Taxation to Curb Monopoly Power: A Brief History and A Proposal”

Tax Justice Network
2022

“Pacta Sunt Servanda? The Problem of Tax Treaty Overrides”

British Tax Review
2022

“Is the United States Already Compliant with Pillar Two?”

Tax Notes International
2022

“The Dubious Constitutional Origins of Treaty Overrides: A Response to Rosenbloom and Shaheen”

Florida Tax Review
2022

“Tax Harmony: The Promise and Pitfalls of the Global Minimum Tax”

  • Tax Law
Michigan Journal of International Law
2022

“The Parallel March of the Ginis: How Does Taxation Relate to Inequality, and What Can Be Done About It?”

American Journal of Law and Equality
2022

“A New Framework for Taxing Cryptocurrencies”

Tax Notes Federal
2022

“Billionaire Mark-to-Market Reforms: Response to Susswein and Brown”

Tax Notes Federal
2022

“Medtronic II and the Profit Shifting Problem”

Tax Notes International
2022

“Pillar Two: Down but not Out”

Tax Notes International
2022

“Minimum Taxation in the United States in the Context of GloBE”

Intertax
2022

“Pillar 2 and the Corporate AMT”

Tax Notes International
2022

“The BEAT and the BITs: Can the United States be Sued over the BEAT?”

International Tax Journal
2022

“A Response to Professor Marian on Cryptocurrency Tax Policy”

Tax Notes
2022

“Stateless Income and Beyond: Ed Kleinbard’s Contribution to International Tax Policy”

National Tax Journal
2022

“First Impressions of the International Tax Provisions of BB: A Reasonable Compromise”

International Tax Journal
2022