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The purpose of this book is to compare different solutions adopted by nine
industrialized countries to common problems of income tax design. As in other
legal domains, comparative study of income taxation can provide fresh
perspectives from which to examine a particular national system. Increasing
economic globalization also makes understanding foreign tax systems relevant
to a growing set of transnational business transactions.
Comparative study is, however, notoriously difficult. Full understanding of a
foreign tax system may require mastery not only of a foreign language, but
also of foreign business and legal cultures. It would be the work of a
lifetime for a single individual to achieve that level of understanding of the
nine income taxes compared in this volume. Suppose, however, that an
international group of tax law professors, each expert in his own national
system, were asked to describe how that system resolved specific problems of
income tax design with respect to individuals, business organizations, and
international transactions. Suppose further that the leaders of the group wove
the resulting answers into a single continuous exposition, which was then
reviewed and critiqued by a wider group of tax teachers. The resulting text
would provide a convenient and comprehensive introduction to foreign
approaches to income taxation for teachers, students, policy-makers and
practitioners.
That is the path followed by Hugh Ault and Brian Arnold and their
collaborators in the development of this fascinating book. Henceforth, a
reader interested in how other developed countries resolve such structural
issues as the taxation of fringe benefits, the effect of unrealized
appreciation at death, the classification of business entities, expatriation
to avoid taxes, and so on, can turn to this volume for an initial answer. This
book should greatly facilitate comparative analysis in teaching and writing
about taxation in the US and elsewhere.
Acknowledgments.
Preface
Table of Abbreviations
Introduction
Part One. General Description
Australia.
Canada
France
Germany
Japan
The Netherlands
Sweden
The United Kingdom
The United States
Part Two. Basic Income Taxation
Subpart A. Global Versus Schedular Design of Income Tax
Subpart B. Inclusions in the Tax Base
Subpart C. Deductions
Subpart D. Accounting
Subpart E. Attribution of Income
Part Three. Taxation of Business Organizations
Subpart A. Corporate-Shareholder Taxation
Subpart B. Partnership Taxation
Part Four. International Taxation
Subpart A. Residence Taxation
Subpart B. Source Taxation
Subpart C. Additional International Topics
Index