| 121 |
|
The IRS Builds a Higher Fence
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 122 |
|
The Multilateral Instrument and Permanent Establishments
|
Herzfeld, Mindy
|
Tax Analysts
|
2017
|
|
|
|
| 123 |
|
The New Imperialists: Tax Bureaucrats
|
Herzfeld, Mindy
|
Tax Analysts
|
2018
|
|
|
|
| 124 |
|
The Next Inversion Wave: Avago and Broadcom
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 125 |
|
The OECD Consults On a New Tax World Order
|
Herzfeld, Mindy
|
Tax Analysts
|
2019
|
|
|
|
| 126 |
|
The OECD (Finally) Tackles The Elephant in the Room
|
Herzfeld, Mindy
|
Tax Analysts
|
2018
|
|
|
|
| 127 |
|
The Perils of Inaction on U.S. Tax Reform
|
Herzfeld, Mindy
|
Tax Analysts
|
2017
|
|
|
|
| 128 |
|
The Politics of the U.S. Patent Box
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 129 |
|
The Power of a Name: Stateless Income and Its Failings
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 130 |
|
The Purpose of Treaties: Not Always About Double Taxation
|
Herzfeld, Mindy
|
Tax Analysts
|
2016
|
|
|
|
| 131 |
|
The Right Reference System
|
Herzfeld, Mindy
|
Tax Analysts
|
2017
|
|
|
|
| 132 |
|
The U.N.'s Role in Rewriting International Tax Rules for the Digital Age
|
Herzfeld, Mindy
|
Tax Analysts
|
2019
|
|
|
|
| 133 |
|
The U.S. Congress Does BEPS One Better
|
Herzfeld, Mindy
|
Tax Analysts
|
2017
|
|
|
|
| 134 |
|
The U.S. Treasury and the BEPS Mess
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 135 |
|
Three Attempts to Fix GILTI
|
Herzfeld, Mindy
|
Tax Analysts
|
2019
|
|
|
|
| 136 |
|
Transparency and Tax Disclosures
|
Herzfeld, Mindy
|
Tax Analysts
|
2015
|
|
|
|
| 137 |
|
Treasury Doubles Down on Inbound Planning
|
Herzfeld, Mindy
|
Tax Analysts
|
2016
|
|
|
|
| 138 |
|
Treasury's Fantasy of an Integrated International System
|
Herzfeld, Mindy
|
Tax Analysts
|
2019
|
|
|
|
| 139 |
|
Treasury Strikes a Bold Regulatory Path Post-TCJA
|
Herzfeld, Mindy
|
Tax Analysts
|
2018
|
|
|
|
| 140 |
|
Treaty Abuse - The Principal Purpose Test
|
Herzfeld, Mindy
|
Tax Analysts
|
2016
|
|
|
|