Showing posts with label conference. Show all posts
Showing posts with label conference. Show all posts

Friday, 28 June 2013

Manal Corwin, now at KPMG, to discuss Reputational Risk Deriving from the Tax Transparency Movement

Fresh out of Treasury, Manal Corwin and some of her new/old colleagues will present a webcast next Tuesday on Tax Transparency and OECD Initiative on Base Erosion and Profit Shifting:
KPMG's Tax Governance Institute will host a webcast that addresses the implications of tax transparency and the potential impact of the OECD initiative on base erosion and profit shifting. Board and audit committee members, CFOs, tax directors and other business professionals interested in attending the program – one in a series of KPMG presentations on this timely topic – can register at: www.taxgovernanceinstitute.com.
The webcast will focus on "the debate over the shift of taxable business income out of the United States and high-tax jurisdictions around the world and into low or no-tax jurisdictions, and the resulting issue of tax base erosion." I'm not sure if debate is the right word there.  Is there a debate about these two phenomena existing as a factual matter? I think no.  Is there a debate about the appropriateness of such shifting and base erosion? I think decidedly yes.

Interestingly, however, KPMG suggests this is a debate about neither the existence nor the appropriateness of profit shifting and base erosion, but rather it is specifically about transparency, namely, the extent to which the public will gain a right to know about the existence and legal sanction of these practices:
The global debate on tax transparency has sparked both public interest and concerns among many companies, and the spotlight will grow brighter in coming weeks as the OECD prepares to deliver its coordinated action plan on base erosion and profit shifting and the European Commission moves forward with announced plans to address issues around tax fairness. With potentially significant changes in future tax obligations and reputational risks at stake, senior executives and board members at multinational companies should find this webcast, and those that will follow, especially useful as they formulate how their organizations should respond to the debate and possible outcomes.
[Emphasis mine.]  This statement is from Brett Weaver, who is described as "tax partner in KPMG's International Corporate Services practice and the firm's partner-in-charge of Tax Transparency" and a member of KPMG's "Tax Transparency Steering Committee," along with Corwin, who is described by KPMG as:
national leader of KPMG's International Corporate Services practice, principal-in-charge of International Tax Policy in the firm's Washington National Tax practice, and former deputy assistant secretary for Tax Policy for International Tax Affairs in the U.S. Treasury Department and U.S. delegate/vice chair to the OECD's Committee on Fiscal Affairs. 
The other participant on the webcast will be Philip Kermode, "director of the Directorate-General for Taxation and Customs Union of the European Commission".

It seems very clear to me that the "reputational risk" Weaver identifies is going to be something corporate tax managers and their legal & accounting advisers will be forced to price in going forward. The last paragraph illuminates this:
...the [KPMG] Tax Governance Institute ... provides opportunities for board members, corporate management, stakeholders, government representatives and others to share knowledge regarding the identification, oversight, management, and appropriate disclosure of tax risk.
I think it is safe to attribute the creation of reputational risk (or what some might call an internalizing of a cost that heretofore has been externalized thanks to strong corporate tax confidentiality laws), as well as any potential that may currently exist for systemic change to occur in the OECD's approach to the taxation of multinationals, to the international tax activist movement. As a result this should be a very informative webcast.


Thursday, 6 June 2013

Webcast of McGill Roundtable on Tax Justice-now online

Last week the McGill Faculty of Law hosted a public roundtable on Tax Justice featuring John Christensen, James Henry, Diana Gibson, and Frédéric Zalac. If you missed the live webcast, you can now view the archived version online here.



Saturday, 25 May 2013

EU Public Hearing on FATCA

Victoria Ferauge alerted me to the EU public hearing on FATCA coming up this Tuesday, 28 May from 3:30-5pm (Central European Std Time), which is 9:30 am Eastern Standard.  Victoria says:

Given my experience with the OECD, I wanted to be very sure this time around that "public" meant real people could attend. So I sent an email to MEP Sophie in't Veld (many thanks to Mark who passed along her email address).  This was her answer:
Dear Mrs Ferauge,
Thank you for your message. The meetings are public, so you can attend freely. The meeting will also be webstreamed via http://www.europarl.europa.eu/ep-live/en/committees/
With kind regards,
Sophie in 't Veld, MEP
It will be interesting to see how this goes and I very much look forward to Victoria's impressions.  By now FATCA's reach is beginning to be understood by a broader audience, but much (well-founded) fear and confusion remains due to the conflation of tax cheats hiding cash in complicated offshore schemes with Americans living abroad who are just trying to live their lives. I do hope that this public meeting will help clarify things.

Friday, 24 May 2013

Tax Justice Roundtable & Research Symposium--McGill Faculty of Law

Next week the McGill Faculty of Law will be hosting a roundtable and research symposium on Tax Justice.

The roundtable will be held on Wednesday May 29 at 7:30 and will be preceded by a 5-7 cocktail, both at the McGill Faculty of Law.  John Christensen, James Henry, Diana Gibson, and Frédéric Zalac will each present their ideas on what it means to talk about justice in taxation. The roundtable is free, open to the public, and will be live webcast here.

The research symposium will be held the following day, Thursday, May 30, beginning at 9:30 am at the McGill Faculty of Law. The idea of the symposium is to bring together academics, researchers, and other interested parties to talk about what research has been done, is currently being done, and needs to be done in order to further the cause of seeking justice in taxation.  You can view the preliminary program here. All are welcome, registration is required.

More info at the links above.

Tuesday, 21 May 2013

Employee Mobility & Assignments Abroad-Conference at McGill Law-May 29

The Canadian Tax Foundation will host a conference at McGIll Law next Wednesday on the (timely!) topic of taxing workers when they go abroad. Eminent McGill law grad and former McGill chancellor Richard Pound will deliver the lunchtime address. Info below and on the CTF website.

EmployeeMobility - Assignments Abroad 
Wednesday, May 29, 2013 
8:45 a.m.  –  4:45 p.m.
Followed by a cocktail reception sponsored by Stikeman Elliott 
McGill University, Faculty of Law
3660 Peel Street (library entrance)
Montréal

This year, the theme for the Canadian Tax Foundation’s annual Journée d’études fiscales, is employee foreign assignments. Speakers at this conference will be discussing the various taxation considerations which arise, both from the perspective of the employee and of the employer, when Canadians choose to temporarily or permanently move their place of work abroad. Various aspects of taxation will be analyzed during the course of the day by experts in the field.

Click here for program & registration info.

After the cocktail, stick around for a Roundtable on Tax Justice, info here and more to come soon.

Tuesday, 7 May 2013

Call for Papers on Securities Litigation-of interest to those working on corporate tax transparency.

Securities regulations are near and dear to the hearts of tax practitioners and accountants who must deal with tax disclosures required in SEC filings.  Perhaps these regs have been less central to the work of tax law academics, but those of us following the extractive industries transparency initiative in particular (since it is already law) and country-by-country reporting more generally may soon find ourselves immersed in SEC compliance and litigation research. This upcoming workshop in Chicago could be a good opportunity to make some progress--paper submissions are due May 31:
The University of Illinois College of Law and the University of Richmond School of Law invite submissions for the First Annual Workshop for Corporate & Securities Litigation.  This workshop will be held on Friday, November 8, 2013, in Chicago, Illinois. 
OVERVIEW: This annual workshop will bring together scholars focused on corporate and securities litigation to present their works-in-progress.  Papers addressing any aspect of corporate and securities litigation or enforcement are eligible.  Appropriate topics include, but are not limited to, securities litigation, fiduciary duty litigation, or comparative approaches to business litigation.  We welcome scholars working in a variety of methodologies, including empirical analysis, law and economics, law and sociology, and traditional doctrinal analysis. 
Authors whose papers are selected will be invited to present their work at a workshop hosted by the University of Illinois College of Law in Chicago, Illinois, on Friday November 8, 2013. Local costs (lodging and workshop meals) will be covered.  Participants are asked to pay for their own travel expenses.
The workshop is designed to maximize discussion and feedback. All participants will have read the selected papers.  The author will provide a brief introduction to the paper, but the majority of the individual sessions will be devoted to collective discussion of the paper involved. 
SUBMISSION PROCEDURE: If you are interested in participating, please send an abstract of the paper you would like to present to Jessica Erickson at jerickso@richmond.edu  not later than Friday, May 31, 2013.  Please include your name, current position, and contact information in the e-mail accompanying the submission. Authors of accepted papers will be notified by Friday, June 28. 
QUESTIONS: Any questions concerning the workshop should be directed to the organizers—Professor Verity Winship (vwinship@illinois.edu) and Professor Jessica Erickson (jerickso@richmond.edu).

Friday, 3 May 2013

Call for Papers: Annual Conference of the Canadian Council of International Law

The organizers of the CCIL's 2013 annual conference have issued a call for papers:

CCIL 42nd  Annual Conference: Call for Papers
Contemporary Actors and their Actions: A New Look at the Formation of International Law
November 14-16, 2013 - Ottawa, Ontario

The Canadian Council on International Law invites paper proposals or summaries of proposed presentations from faculty members, doctoral level graduate students in law and related disciplines, and practitioners, on topics dealing with the theme of its 42nd Annual Conference: “Contemporary Actors and their Actions: A New Look at the Formation of International Law”.

Paper proposals or summaries of proposed presentations in English or French should be no longer than a single page in length and should include a biographical statement or curriculum vitae.  Proposals are due June 3, 2013 and should be sent to manager@ccil-ccdi.ca.


Great topic. More info at the link.

Thursday, 2 May 2013

CTF Conference on Tax & Employee Mobility-McGill Law School, May 29 2013


Inscrivez-vous avant le 4 mai pour profiter du tarif réduit - Mobilité des employés à l'étranger - Journée d'études fiscales - le mercredi 29 mai 2013
Si vous avez de la difficulté à lire ce courriel, s.v.p. visionner la version en ligne.
Afin de vous assurer de bien recevoir nos courriels, ajouter
ctf-fcf@ctf.ca à votre carnet d'adresses.

Bureau 2935
1250, boul. René-Lévesque ouest
Montréal, QC H3B 4W8
Téléphone : (514) 939-6323
Télécopieur : (514) 939-7353

Inscrivez-vous avant le 4 mai pour profiter du tarif "oiseau matinal"
Journée d'études fiscales
Mobilité des employés à l'étranger
Le mercredi 29 mai 2013
8 h 20 à 16 h 45
Suivi d'un cocktail gracieusement offert par Stikeman Elliott
Université McGill, Faculté de droit
3644 rue Peel
Montréal
Cette année et dans le cadre de la Journée d'études fiscales, la Fondation canadienne de fiscalité a choisi de présenter des conférences ayant pour thème les Canadiens qui travaillent temporairement ou de façon permanente à l'étranger. Plusieurs aspects de la fiscalité seront abordés, tant du point de vue de l'employé que du point de vue de l'employeur, par des experts en la matière.

Les faits saillants de la Journée d'études fiscales comprennent :

(certaines présentations seront en anglais)


• Les aspects fiscaux pour l'employé et pour la société (employeur)
                 > impact sur les régimes de retraite et autres régimes de rémunération
                 > frais de localisation du ou vers le Canada
                 > planification du rapatriement
                 > mécanisme de compensation salariale (tax equalization)
                 > impôt au décès ou impôt sur les successions

• Utilisation d'une société particulière pour « services d'employé »
                 > exemple de mécanismes d'opération
                 > bénéfices potentiels et éléments fiscaux à considérer

• Éléments fiscaux à considérer lors d'un transfert dans un pays émergeant
• Aspects administratifs à considérer
                 > Retenues à la source
                 > Mécanismes de recharge intragroupe

• Visa et autres aspects légaux à considérer

Pour consulter le programme ou pour vous inscrire s.v.p. cliquez ici. Pour toutes informations supplémentaires s.v.p. contactez le bureau de Montréal au 514 939 6323 ou par courriel à adminmtl@ctf.ca 

 Prochains événements :
Le mardi 14 mai 2013: TAX STRATEGIES FOR EXECUTIVE COMPENSATION (en anglais) (Ottawa) (demi-journée)
Le jeudi 16 mai 2013: FAIRE AFFAIRE AUX ÉTATS-UNIS : STRUCTURES DE FINANCEMENT AMÉRICAINES (Québec) (demi-journée)

Pour les jeunes fiscalistes:
Le vendredi 10 mai 2013: PERTES SUPENDUES (Midi-conférence) (Montréal)
Le jeudi 30 mai 2013: ACTIONS ACCRÉDITIVES (Petit-déjeuner fiscal) (Québec)

FONDATION CANADIENNE DE FISCALITÉ


*****
Register before May 4th to benefit from the Early Bird rate
 Journée d'études fiscales
Employee Mobility - Assignments Abroad 
Wednesday, May 29, 2013 
8 :20 a.m.  –  4 : 45 p.m.
Followed by a cocktail reception sponsored by Stikeman Elliott 
McGill University, Faculty of Law
3644 Peel Street
Montréal
(Take advantage of our early bird rate by registering before May 3rd, 2013)
This year, the theme for the Canadian Tax Foundation's annual Journée d'études fiscales, is employee foreign assignments. Speakers at this conference will be discussing the various taxation considerations which arise, both from the perspective of the employee and of the employer, when Canadians choose to temporarily or permanently move their place of work abroad. Various aspects of taxation will be analyzed during the course of the day by experts in the field.
Topics covered at the Journée d'études fiscales will include:
(certain presentations will be in English)
• Tax considerations for the employee and employer corporation
           > Impact on retirement savings vehicles
           > Cost of relocation to or from Canada
           > Planning the repatriation
           > Tax equalization
           > Death and inheritance taxes
• Using a special purpose corporation for employee services
          > Examples of methods of operation
          > Potential benefits and taxation considerations
• Taxation issues when considering a move to a developing country
• Administrative issues to consider
         > Source deductions
         > Mechanisms for intra-group charge back
• Visas and other legal considerations
To consult the program or to register, please click here. For any additional information, please contact the Montréal office at 514 939 6323 or by email at adminmtlctf.ca



  

Saturday, 13 April 2013

Canadian Tax Foundation conference: "Abusive Tax Planning"--May 1 in Montreal

The Canadian Tax Foundation will hold a lunchtime conference on May 1st in Montreal on The Fight Against Abusive Tax Planning at the Federal Level and the New Quebec Rules with respect to Non-Resident Trusts, with updates by the CRA and Revenu Québec. The event will be held from 12 to 2pm at the Center Sheraton, Salons 4 & 5, 1201 René-Levesque Blvd. West, Montréal. From an email alert: 
Mr. Dan Rivet, (Manager / GAAR and Inter-provincial Tax Avoidance Section at the CRA) will discuss the various types of abusive tax planning schemes that are currently being audited by the CRA and the success that the CRA has had in its fight against abusive tax planning both at the domestic and the international levels. 
Mrs. Agathe Simard (Director General – Direction principale de la lutte contre les PFA at Revenu Québec) will be discussing the new Québec measures that require the filing of tax returns by all non-resident trusts who hold immovable property in Québec.
En français, I expect--you can check out the program at the link above and register online.

Friday, 12 April 2013

Upcoming conference on tax & philanthropy

Over at Philanthropy blog Lucy Bernholz alerts us to an upcoming conference in DC  (to be webcast) on "The Charitable Deduction in American Political Thought," in which participants will discuss the charitable deduction's "deepest dimensions as an expression of fundamental American political principles." And there is required reading:


Neither of which I've read so I had better get going. 






Thursday, 31 January 2013

OECD public briefing on TRACE and FATCA: Feb 12

The OECD will hold a public meeting on TRACE and FATCA in Paris on February 12, with three IRS officials on hand to discuss FATCA and a senior tax guy at HSBC to update on the OECD's TRACE project.  Really? A senior tax guy at HSBC is going to tell us about how the OECD is going to prevent tax crimes and money laundering?  Wait, is this like that movie where they hired an accomplished thief to test the security system and explain everything that's wrong with it?  In any event, info:
The OECD and the Business and Industry Advisory Committee (BIAC) to the OECD will host a public briefing session on TRACE and FATCA at the OECD Conference Centre in Paris on 12 February. 
...Officials from the US Treasury and FATCA partner countries will give an update on the progress made on the intergovernmental agreements. 
You must send your questions in advance:
Participants will be given an opportunity to ask questions by completing the question form and sending it to the OECD Secretariat (icaevents@oecd.org) by Friday 8 February...
 But you can also attend in person for 100EUR if you are a financial institution, a practioner, or a journalist, according to the information.  Though it is not stated, I will simply assume that non-interested observers, such as academics, NGO reps, etc., are also warmly invited.  I am very sorry I won't be able to attend myself, but if anyone who reads this does plan to attend, I would dearly appreciate hearing from you.

Friday, 25 January 2013

WTO Trade disputes "from the inside"

This will be an interesting talk:
Appellate Body Member Tom Graham will be giving a talk at Hofstra on Feb. 6 entitled "It Sure Looks Different From the Inside: Deciding International Trade Disputes at the WTO". The title sounds promising, and from what I understand he will talk a bit about the use of the Vienna Convention by the AB in its decision-making.  He is not likely to be as forthcoming as, say, Justice Scalia, but he may say some interesting things nonetheless.
I don't see anything about live feed, too bad. I would have like to hear what he had to say--WTO decision-making is of interest to those of us keeping an eye on arbitration in tax treaties.  

Friday, 18 January 2013

Advice for the 2d Obama Administration

Live webcast today: Pepperdine/Tax Analysts Symposium: Tax Advice for the Second Obama Administration

Lineup:


Introduction and Welcome
  • Deanell Tacha (Dean, Pepperdine)
  • Chris Bergin (President, Tax Analysts)
Keynote Address:  Michael Graetz (Columbia)
Occupy the Tax Code:  The Buffett Rule, the 1%, and the Fairness/Growth Divide
Moderator:      David Brunori (Tax Analysts)
Papers:           Dorothy Brown (Emory), The 535 Report: A Pathway to Fundamental Tax Reform
                         Francine Lipman (UNLV), Access to Tax InJustice
                         Kirk Stark (UCLA) (with Eric Zolt (UCLA)), Tax Reform and the American Middle Class
Commentary:  Bruce Bartlett (New York Times), David Miller (Cadwalader, New York)
Estate and Gift Tax
Moderator:      Paul Caron (Pepperdine)
Papers:           Ed McCaffery (USC), Distracted from Distraction by Distraction: Reimagining Estate Tax Reform
                         Grayson McCouch (San Diego), Who Killed the Rule Against Perpetuities?
                         Jim Repetti (BC) (with Paul Caron (Pepperdine)), Occupy the Tax Code: Using the Estate Tax to Reduce Inequality
Commentary:  Joe Thorndike (Tax Analysts)
Luncheon Address:   David Cay Johnston (author/journalist)
Business/International Tax #1
Moderator:     Tom Bost (Pepperdine)
Papers:          Steve Bank (UCLA), The Globalization of Corporate Tax Reform
                         Karen Burke (San Diego), Passthrough Entities: The Missing Link in Business Tax Reform 
                         Martin Sullivan (Tax Analysts)
Commentary:  Michael Schler (Cravath, New York)
Business/International Tax #2
Moderator:     Khrista McCarden (Pepperdine)
Papers:          Reuven Avi-Yonah (Michigan), Corporate and International Tax Reform: Proposals for the Second Obama Administration
                        Allison Christians (McGill), Putting the Reign Back in Sovereign: Advice for the Second Obama Administration
                        Susan Morse (UC-Hastings), The Transfer Pricing Regs Need a Good Edit
Commentary:  Robert Goulder (Tax Analysts)
Closing Remarks:  What Have We Learned Today?:   David Cay Johnston (author/journalist)

Wednesday, 12 December 2012

Call for Papers: The Changing Face of Global Governance: International Institutions in the Internat

From the International Law Association - British Branch, another call for papers of interest to many of us studying international tax law through the lens of institutions like the OECD, the G20, and the UN.  The topic is The Changing Face of Global Governance: International Institutions in the International Legal Order.  The conference will be at the University of Oxford, April 12-13, 2013. Info:
...In the past, the content of the term 'international institutions' was by and large exhausted by reference to international organisations. However, the term comprises today not only traditional intergovernmental organisations but includes an expanded range of formal and informal institutions of global governance. The conference will explore the full range of international institutions, including international judicial and quasi-judicial organs, which—even when they are (subsidiary) organs of an international organisation—have acquired a life of their own; conferences of parties with wide-ranging powers over the interpretation and application of international treaties; compliance mechanisms; hybrid organisations which provide vital content to generic provisions of international treaties; a system of international criminal justice diffused in States and complemented at the international level; non-governmental organisations; informal networks of regulators, and so forth. 
Papers will examine the role of international institutions in making, developing, interpreting, applying and enforcing international law and thus shaping the legal landscape of international and transnational interaction in a globalised world. The conference theme explores the multifarious impact of ever-present international institutions on international law, both by querying their impact in the areas of law-making and law-enforcement and by tracing their presence and importance in 'sectoral regimes' of international law, ranging from the law of armed conflict to international economic and investment law, through to the global environment.
More info at the link; h/t Int'l Law Reporter


Workshop on social economic rights in practice-Coventry

The Human Rights Centre in Practice and the Institute of Advanced Study at the University of Warwick are holding a workshop tomorrow on Strategies for realising social economic rights in practice: Multi-disciplinary experiences from early career researchers.  The program asks:

1. Should social economic rights be considered human rights at all?
2. How helpful is the international legal framework in enabling the achievement of these rights?
3. How do we measure social economic rights in practice?
4. What lessons can we learn from practitioners in our pursuit of achieving social economic rights?

Interesting.  Hope to see some of the papers as they emerge from abstract to publication.

FATCA Forum this Saturday-Toronto

If you're following FATCA, and more specifically the Canadian response thereto, you might be interested in a forum being held on the subject this Saturday in Toronto, specifically at UofT's Victoria College, 91 Charles Street West (doors open at 10am). I'll be there to try to work through some of the international law angles, and to learn a bit more about how Canadians perceive both the regime and their governments' response to date. You can find more details here.


Call for Papers: Legitimation & Delegitimation of Global Governance Orgs

Of interest:

The Changing Norms of Global Governance research group at the Institute of Intercultural and International Studies of the University of Bremen has issued a call for papers for a conference on "The Legitimation and Delegitimation of Global Governance Organizations," to take place September 11-13, 2013.

We are particularly interested in papers that address the following issues:

Legitimation norms: Which norms and values (e.g. legality, justice, democracy, peace, growth) do various actors refer to in order to legitimize the identities and/or activities of global governance organizations? How does the content of such norms and values vary over time, across (types of) global governance organizations and across world regions? How do changes in the international system (e.g. rising powers) affect the set of norms and values against which global governance organizations are conventionally evaluated? And how is the contestation between different norms and values played out?

The structure of legitimation discourse: Where does (de-)legitimation take place? How are legitimation discourses structured? Whose contributions count and on what terms?  How do organization-specific discourses relate to each other? How are they connected to the broader social discourses in which they are embedded? And to what extent do the worldwide expansion of education (referred to by some as a ‘skill revolution’), the revolution in communication technologies and the mediation/mediatization of societies alter the nature, content and processes of legitimacy communication as well as the conditions under which legitimation discourses take place? 
Drivers and effects of (de-)legitimation: When and how do efforts at legitimizing global governance organizations succeed? Under which conditions can legitimacy claims be successfully challenged from the inside (e.g. diplomats, recalcitrant bureaucrats or NGO observers) or the outside (e.g. social movements, the business community or states that are not members of an international organizations)? With which repertoires and resources? And what are the major short-term and long-term effects of successful (de-)legitimation efforts for an international organization? 
Institutionalization of legitimacy management: How do global governance organizations internally organize and institutionalize their legitimacy management and how has this changed over time? How are particular legitimation strategies developed internally? How has the emergence and spread of social media changed the ways in which international organizations (seek to) manage their legitimacies? 
Opening up as a legitimation strategy: When and why do global governance organizations pick the specific legitimation strategy of opening up, i.e. increasing their transparency towards the public and opening their governance processes to non-state actors? How are organizations in different policy fields opening up? How is opening up presented as a legitimacy building measure to the organizations’ audiences? What are the micro-processes of opening up? How do changes in transparency and access interact with each other? Which actors are marginalized, which favoured through increasing participation and transparency?
Many or perhaps all of these questions have been on the minds of many international tax scholars, particularly those who view the OECD as central to any analysis of international tax law issues, or who are thinking about alternatives for cross-border cooperation and collaboration, such as through the G-20 or the UN.

h/t Intl Law Reporter

Wednesday, 14 November 2012

Tax Advice for the Second Obama Administration

Taxprof posted news today about a conference at Pepperdine scheduled for January in which I'll be participating with comments on U.S. international tax policy.  Lineup:


Introduction and Welcome
  • Deanell Tacha (Dean, Pepperdine)
  • Chris Bergin (President, Tax Analysts)
Keynote Address:  Michael Graetz (Columbia)
Occupy the Tax Code:  The Buffett Rule, the 1%, and the Fairness/Growth Divide
Moderator:       David Brunori (Tax Analysts)
Papers:            Dorothy Brown (Emory), Francine Lipman (UNLV), Kirk Stark (UCLA) (with Eric Zolt (UCLA))
Commentary:  David Miller (Cadwalader, New York), Bruce Bartlett (New York Times) 
Estate and Gift Tax
Moderator:       Paul Caron (Pepperdine)
Papers:            Ed McCaffery (USC), Grayson McCouch (San Diego), Jim Repetti (BC) (with Paul Caron (Pepperdine))
Commentary:  Joe Thorndike (Tax Analysts)
Luncheon Address:   David Cay Johnston (author/journalist)
Business/International Tax #1
Moderator:       Tom Bost (Pepperdine)
Papers:            Steve Bank (UCLA), Karen Burke (San Diego), Martin Sullivan (Tax Analysts)
Commentary:  Michael Schler (Cravath, New York)
Business/International Tax #2
Moderator:       Khrista McCarden (Pepperdine)
Papers:            Reuven Avi-Yonah (Michigan), Allison Christians (McGill), Susan Morse (UC-Hastings)
Commentary:  Robert Goulder (Tax Analysts)
Closing Remarks:  What Have We Learned Today?:   David Cay Johnston (author/journalist)

Friday, 28 September 2012

Carter Commission after 50 years, cont'd

Today's panels were interesting and informative. Neil Brooks kicked things off with a lively and wonderful introduction to the politics and process of the commission and the hopes for tax reflection and reform today (they are dismal, I'm afraid). Tomorrow promises to be equally full, with a deep lineup. Speakers:

  • Jinyan Li - Would Mr. Carter be Happy with the International Tax Developments in Canada
  • Yan Xu - Enduring Echoes in a Changing Landscape: China’s Tax History?
  • Carl MacArthur - From Carter to Copthorne: Judicial Inactivism and the Rise of the GAAR
  • Michelle Markham - Advance Pricing Arrangement Reform in Australia – Is this Relevant to any Future Reform in Canada?
  • Kathrin Bain - Research and Development Tax Incentives: What can Canada learn from Australia’s experiences?
  • Steven Dean - Tax Apps: 50 Years of Tax Expenditures
  • Lisa Philipps - The Role of R&D Tax Expenditures in Canada’s Innovation Strategy: From Carter to Jenkins
  • Michael Livingston - Convergence, Divergence, and the Limits of Globalization in Tax Matters: The Canadian Experience
  • William McCarten - Provincial Strategies for Corporate and Personal Income Tax Design: Positive, Zero, or negative Sum Games?
  • Kathryn James - The Carter Commission and the Value Added Tax
  • Lori McMillan - The Non-charitable Non-profit Subsector in Canada: An Empirical Examination
  • Richard Schmalbeck - The Income Taxability of Gifts: Haig-Simons, the Carter Commission, and the Real World
  • Shu Yi Oei - Who Wins When Uncle Sam Loses? Social Insurance and the Forgiveness of Tax Debts
  • Catherine Brown - Revisiting the Carter Commission's International Tax Policy Analysis
  • Elsbeth Heaman - The Personal Income Tax in Canada Before 1917
  • David Tough - Carter and Company: The Commission’s Critique of Inequality in the Context of Canada’s Rediscovery of Poverty in the 60s
  • Neil Buchanan - The Trinity without the Holy Ghost: Tax Scholarship Without the Illusory Goal of Efficiency
  • David Duff - Haig, Simons, and Carter: Rethinking the Concept of Income in Tax Law and Policy
  • Richard Krever - What is an “Enterprise” in GST Law?
  • Shirley Tillotson - The Politics of Carter-Era Tax Reform: A Revisionist Account
More at the conference website, here.

Thursday, 27 September 2012

Carter Commission After 50 Years

Tomorrow is the first day of the Dalhousie Law conference, The Carter Commission 50 Years Later: A time for reflection and reform."   On the schedule for tomorrow:

Neil Brooks - The Carter Report: Brilliant, Imaginative and One of a Kind
Ajay Mehrotra - The VAT Laggards: A Comparative History of US and Canadian Resistance to the Value-Added Tax
Miranda Stewart - Tax Reform and Legitimacy in the Global Era
Faye Woodman - Should the Tax Burden on Babyboomers Be Reduced Because They are Getting Older?: The Age Tax Credit, the Pension Income Credit, and Income Splitting of Pension Income
Claire Young - Beyond Conjugality: Time for the Tax System to Take that Concept Seriously
Allison Christians - Drawing the Boundaries of Tax Justice
Peter Dietsch - Fiscal Obligations to Redistribute in an International Setting
Thaddeus Hwong - A Comparison of Trends in Tax Levels and Tax Mixes in Canada and Other OECD Countries Before and After Carter
Chris Sprysak - Taxing Me or We: Yet Another Look at the Carter Commission’s Recommendation for Joint Returns
Tamara Larre - Dependency Under Canada’s Income Tax System
Kirk Collins - Capital Markets, Interest Imputation, and the Carter Report’s Proposed System of Full Integration of the Corporate-Shareholder Income Taxes
Martha O’Brien - Corporate Group Taxation: Here and Now, There and Then

And that's just the first day.  You can access the full schedule at the link.