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A Destination-Based Cash Flow Tax Can Be Structured to Comply with World Trade Organization Rules

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  • Itai Grinberg

Abstract

This paper briefly outlines alternative approaches to enacting a destination-based cash flow tax that are more clearly compatible with the World Trade Organization rules than the approach that has previously been described in the literature. The first structural alternative involves expanding the universe of businesses subject to the tax by clearly defining both the base of the new U.S. business tax and its tax nexus requirement as domestic consumption, and thereafter treating foreign importers and other sellers equivalently, rather than imposing a deduction disallowance or an import tax. The second alternative involves adopting a business activities tax, and then enacting a business-level incentive for encouraging employment that is as a legal matter separate from the tax. Either approach avoids the key World Trade Organization concerns.

Suggested Citation

  • Itai Grinberg, 2017. "A Destination-Based Cash Flow Tax Can Be Structured to Comply with World Trade Organization Rules," National Tax Journal, National Tax Association;National Tax Journal, vol. 70(4), pages 803-818, December.
  • Handle: RePEc:ntj:journl:v:70:y:2017:i:4:p:803-818
    DOI: 10.17310/ntj.2017.4.05
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    Cited by:

    1. Alan J. Auerbach, 2018. "Comment on "The Macroeconomics of Border Taxes"," NBER Chapters, in: NBER Macroeconomics Annual 2018, volume 33, pages 458-467, National Bureau of Economic Research, Inc.
    2. Johannes Becker & Joachim Englisch, 2020. "Unilateral introduction of destination-based cash-flow taxation," International Tax and Public Finance, Springer;International Institute of Public Finance, vol. 27(3), pages 495-513, June.

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