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| Dimensions: 5.5'' x 8.5'' |
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| 60 pages |
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AEI Press
(Washington)
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| Publication Date: October 2004 |
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| Paperback |
| ISBN: 0844741922 |
| Price: $ 10.00 |
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The full text of this monograph is available in Adobe Acrobat PDF format.
This study explores how the tax design called the X tax could alleviate the complexities and avoidance opportunities plaguing the existing U.S. system for taxing international business income. In addition to laying out the general efficiency, equity, and administrative characteristics of an X tax, David F. Bradford considers, in particular, the fundamental choice between two treatments of transborder business transactions: the origin and destination principles. The destination-principle approach sidesteps the need to identify arm’s-length terms of transborder transactions between related business entities: the transfer-pricing problem. This problem remains in the origin-principle approach, but this approach presents fewer challenges of monitoring the flow of goods and services across borders; obviates what Bradford calls the tourism problem (whereby people can reduce their taxes by consuming in a low-tax jurisdiction); and, arguably most important, avoids transition effects associated with introduction of the tax and subsequent tax-rate changes that occur in the destination approach. To obtain the positive features without the principal negative feature, Bradford suggests the possibility of special rules for transborder transactions between related parties that would eliminate the transfer-pricing problem in an origin-basis system.
David F. Bradford is professor of economics and public affairs at Princeton University and visiting professor of law at New York University.

Table of Contents

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Foreword, Kevin A. Hassett
Acknowledgments
Introduction
The X Tax in an International Setting
Administrative Properties
Efficiency Properties
Equity Issues
Transition and Tax Rate Changes over Time
A Remedy for the Transfer-Pricing Problem in an Origin-Basis X Tax
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Tax-Prepayment and Qualified-Account Alternatives
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Bundled Accounting for Foreign Subsidiaries: The Domestic Installment-Sale Analogy
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Applying the Approach to Multinational Corporate Family Members
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Resurrection of the Foreign Tax Credit?
Conclusion
References
About the Author |