- "Coming Soon---A UN Code of Conduct on tax evasion?", 4/1 Tax Justice Focus (2008).
- "Raise Michigan’s
top income tax rate," Detroit Free Press, Friday, May 4, 2007.
- Comments on the OECD Proposal for
Secret and Mandatory Arbitration of International Tax Disputes, 7 Florida Tax Review 622-647 (2006).
- Abstract.
- As submitted to OECD, March 24, 2006.
- Letter referencing this article from Senators Byron L. Dorgan, Russ Feingold, and Carl Levin to Treasury
Secretary John W. Snow, May 16, 2006.
- The Case for Free Trade, Vol. 24, Number 2 ABA Tax Section News Quarterly 11-12 (Winter 2005).
- The Use of Combined Reporting by Nation States, in chapter 8, Arnold, Sasseville, & Zolt, eds. The Taxation of Business Profits Under Tax Treaties (2003). Summary. Revised and reprinted in 35 Tax Notes Int'l 917-948 (Sept. 6, 2004).
- Determining the Residence of Members of a Corporate Group, 51/4 Canadian Tax Journal 1567-73 (2003). Summary.
- Thoughts on the Future of the State Corporate Income Tax, 25 State Tax Notes 931-947 (Sept, 23, 2002). Summary.
- Pensées on Integration: Where's the Reform?
27 State Tax Notes 971-973 (March 17, 2003).
- How the United States Should Respond to the ETI Dilemma, 26 Tax Notes Intl 865-872 (May 20, 2002), reprinted in 95 Tax Notes 1251-1255 (May 20, 2002). Summary. Ways and Means testimony (Paean to free trade), April 10, 2002.
- Ways & Means Retreat testimony (Why "territorial" source-based tax is bad idea), April 25, 2002.
- Options for Greater International Coordination and Cooperation in the Tax Treaty Area, 56/6 Bulletin for International Fiscal Documentation 250-253 (June 2002).
- U.S. Taxation of Foreign Corporations in the Digital Age, 55 (9/10) Bulletin for International Fiscal Documentation 498 (2001). Summary.
- U.S. Income Taxation of Electronic Sales: A Virtual Office as Fixed Place of Business (adapted from 55 (9/10) Bulletin for International Fiscal Documentation 498 (2001).
- Hunt-Wesson and the Continuing Problem of Tax Arbitrage, 6 The State and Local Tax Lawyer 57-87 (2001). Summary.
- Michael J. McIntyre, Paull Mines, and Richard D. Pomp, Designing a Combined Reporting Regime for a State Corporate Income Tax: A Case Study of Louisiana, 61/4 Louisiana Law Review 699 (2001), reprinted 21/10 State Tax Notes 741-769 (Sept. 3, 2001). Summary.
- Robert S. McIntyre and Michael J. McIntyre, "Fixing the Marriage Penalty' Problem," 33 Valparaiso University Law Review 907-946 (1999).
- Constitutional Limitations on State Power to Combat Tax Arbitrage: An Evaluation of the Hunt-Wesson Case, 18/1 State Tax Notes 51-64 (January 3, 2000).
- High Court's Ruling in Hunt-Wesson Lacks Principled Basis, 18/9 State Tax Notes 698-699 (February 28, 2000).
- Taxing Electronic Commerce Fairly and Efficiently, 52 Tax Law Review 625-654 (1997).
- Defense of OECD Harmful Tax Competition Report, 81 Tax Notes 1437-38 (1998).
- Defense of Subpart F Against Financial Services Industry, No. 1 and No. 2 (1997)
- Vietnam Report (1996).
- The Design of Tax Rules for the North American Free Trade Alliance, 49 Tax Law Review 769 (1994).
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- International Tax Primer, 2d edition, Kluwer Law International, 2002 (with Brian J. Arnold).
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