Addressing Tax System Failings That Favor Billionaires and Corporations
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Marxist Crisis Theory and the Severity of the Current Economic Crisis
Marxist Crisis Theory and the Severity of the Current Economic Crisis By David M. Kotz Department of Economics Thompson Hall University of Massachusetts Amherst Amherst, MA 01003, U.S.A. December, 2009 Email Address: [email protected] This paper was presented on a panel on "Heterodox Analyses of the Current Economic Crisis" sponsored by the Union for Radical Political Economics at the Allied Social Science Associations annual convention, Atlanta, January 4, 2010. Research Assistance was provided by Ann Werboff. It is a revised version of a paper "The Final Crisis: What Can Cause a System-Threatening Crisis of Capitalism," Science & Society 74(3), July 2010. Marxist Crisis Theory and the Current Crisis, December, 2009 1 The theory of economic crisis has long occupied an important place in Marxist theory. One reason is the belief that a severe economic crisis can play a key role in the supersession of capitalism and the transition to socialism. Some early Marxist writers sought to develop a breakdown theory of economic crisis, in which an absolute barrier is identified to the reproduction of capitalism.1 However, one need not follow such a mechanistic approach to regard economic crisis as central to the problem of transition to socialism. It seems highly plausible that a severe and long-lasting crisis of accumulation would create conditions that are potentially favorable for a transition, although such a crisis is no guarantee of that outcome.2 Marxist analysts generally agree that capitalism produces two qualitatively different kinds of economic crisis. One is the periodic business cycle recession, which is resolved after a relatively short period by the normal mechanisms of a capitalist economy, although since World War II government monetary and fiscal policy have often been employed to speed the end of the recession. -
Ways and Means Committee's Request for the Former President's
(Slip Opinion) Ways and Means Committee’s Request for the Former President’s Tax Returns and Related Tax Information Pursuant to 26 U.S.C. § 6103(f )(1) Section 6103(f )(1) of title 26, U.S. Code, vests the congressional tax committees with a broad right to receive tax information from the Department of the Treasury. It embod- ies a long-standing judgment of the political branches that the tax committees are uniquely suited to receive such information. The committees, however, cannot compel the Executive Branch to disclose such information without satisfying the constitutional requirement that the information could serve a legitimate legislative purpose. In assessing whether requested information could serve a legitimate legislative purpose, the Executive Branch must give due weight to Congress’s status as a co-equal branch of government. Like courts, therefore, Executive Branch officials must apply a pre- sumption that Legislative Branch officials act in good faith and in furtherance of legit- imate objectives. When one of the congressional tax committees requests tax information pursuant to section 6103(f )(1), and has invoked facially valid reasons for its request, the Executive Branch should conclude that the request lacks a legitimate legislative purpose only in exceptional circumstances. The Chairman of the House Ways and Means Committee has invoked sufficient reasons for requesting the former President’s tax information. Under section 6103(f )(1), Treasury must furnish the information to the Committee. July 30, 2021 MEMORANDUM OPINION FOR THE ACTING GENERAL COUNSEL DEPARTMENT OF THE TREASURY The Internal Revenue Code requires the Department of the Treasury (“Treasury”) and the Internal Revenue Service (“IRS”) to keep tax returns and related information confidential, 26 U.S.C. -
2015 FOX Fall Forum
2015 FOX Fall Forum FOX 100 Resource Center A Roundup of Leading Industry Knowledge amily Office Exchange (FOX) is pleased to present this year’s F selection of articles, reports and white papers devoted to the issues of most concern to wealth owners and family office executives globally. To assist in locating information of particular interest, Resource Center material once again is grouped by subject area: • Trusts, Tax and Estate Planning Page 2 • Security, Technology, Family Office Page 4 and Lifestyle Issues • Family Matters (Legacy Planning) Page 9 • Investment Page 11 • Family Office Issues Page 17 Soon after the conclusion of the Fall Forum unless noted as “print only” all Resource Center material will be available at: https://www.familyoffice.com/learning-events/forums/2015-fox-100 Presented in the Grand Foyer Lobby, JW Marriott 1 2015 FOX Fall Forum TRUSTS, TAX AND ESTATE APPLICATION OF THE 2-PERCENT FLOOR TO TRUST AND ESTATE EXPENSES PLANNING McGladrey LLP Though the IRS issued the final regulations for INBOUND WEALTH PLANNING FOR THE section 67 in May 2014 to require the GLOBAL FAMILY unbundling of a fiduciary's integrated fee, Northern Trust corporate fiduciaries and tax planners continue Determining exactly whose income, gains and to struggle with designing and implementing assets is subject to the U.S. Federal tax system procedures to ensure that the directive is is a daunting inquiry that requires a properly accounted for on returns during the comprehensive approach without shortcuts. upcoming tax filing season. And, just when the general rules of international tax principles under the Internal Revenue Code While most corporate fiduciaries have moved on (the Code) and related treasury regulations have to the task of applying the regulations to their been reviewed and applied, an applicable trusts and estates, some commentators still international tax treaty or a new tax law can contend that the regulations misinterpret the change everything. -
Copyrighted Material
PART 1 The World Property Market – A Beginner’s Guide There is no shortage of ‘experts’ when it comes to investing in prop- erty. Nearly everyone, everywhere, who bought property a decade ago is sitting on a unprecedented pile of ‘dough’. Nominally, that is, of course, because property profi t is notional until we cash in our chips. This ‘success’ has gone to our heads, while few of us did anything very clever to achieve this paper wealth. For the most part, we just rode the wave that swept us further and further up the profi t curve. While not many people remember the last property collapse, though 2007–8 may refresh some memories many more are still nursing losses from the stock market collapse that followed the ‘Dot Com’ bubble burst. The ‘expert’ investors who rode that wave up have discovered two important facts: what goes up a long way fast can come down just as dramatically; and that they had either forgotten or never really knew the fundamentals that underpin long-term share prices. Now, there are no absolute guarantees with any investment, except that your chances of success are improved exponentially if you understand something ofCOPYRIGHTED the forces at work in the market MATERIAL – in this case, the property market. If you really are an expert and your property investments have outperformed the general trend, then skip this chapter. If not, read on. Property – the backbone of wealth creation Property has been a worthwhile source of wealth for generations. More private individuals have become millionaires in this way than 10 PART 1 THE WORLD PROPERTY MARKET – A BEGINNER’S GUIDE by any other route to wealth. -
Forbes Insights: 2014 BNP Paribas Individual Philanthropy Index
2014 BNP PariBas iNdividual PhilaNthroPy iNdex PHILANTHROPiC JOURNEYS: THE iMPORTANCe oF TIMiNG MEASURING COMMITMENT IN EUROPE | ASIA | USA | MIDDLE EAST CoNteNts Key Findings.............................................................................................................................................................2 2014 BNP Paribas Individual Philanthropy Index ...................................................................................... 4 Discussion of Index Results ............................................................................................................................... 6 Comparisons to 2013 Results ............................................................................................................................7 Projected Giving: The Giving Pledge ............................................................................................................. 8 If Not Now, When? ............................................................................................................................................... 9 Urgency—Profile: To Stop the Suffering .....................................................................................................17 The Philanthropic Journey, Stage One: Motivation .................................................................................18 The Philanthropic Journey, Stage Two: The State of Wealth .............................................................20 The Philanthropic Journey, Profile: A Thousand Fires ..........................................................................23 -
Does Canada Need a Wealth Tax?
2020 DOES CANADA NEED A WEALTH TAX? Philip Cross 2020 Fraser Institute Does Canada Need a Wealth Tax? by Philip Cross Contents Executive Summary / i 1 Introduction / 1 2 Different views of wealth in economics / 4 3 Canada’s wealth more equally distributed / 6 4 Wealth taxes generate little net revenue / 13 5 Wealth is hard to define and measure / 19 6 Macro issues—a wealth tax discourages savings and investments, and lowers long-term growth / 25 7 Fairness and social issues / 30 Conclusion / 35 References / 36 About the Author / 41 Publishing Information / 42 About the Fraser Institute / 43 Purpose, Funding, and Independence / 43 Peer review —validating the accuracy of our research / 44 Editorial Advisory Board / 44 fraserinstitute.org Cross • Does Canada Need a Wealth Tax? • i Executive Summary In its recent Speech from the Throne, the federal government said it was considering a tax on what it termed “extreme wealth inequality” in this country. This would be a mis- take for several reasons. To start, wealth inequality is not increasing in Canada. Statistics Canada data show that wealth held by the lowest three income quintiles rose more than that held by the highest two quintiles, raising their share of wealth from 27.1% in 2010 to 29.5% in 2019. The gain in wealth for those with lower incomes reflects increases for both financial and non-financial assets, and began before Canada’s housing market took off in 2015. Canada’s middle class holds more financial assets than the middle class in the United States and, therefore, is less vulnerable to a downturn in the housing market. -
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Globalization and the Transformation of Cultures & Humanity: A Curriculum and Toolkit for the Efflorescence of Ecological Literacy in Legal and Business School Education Robert Alan Hershey* AIt=s noble to be good, and nobler to teach others to be good, and less trouble.@ BMark Twain “We are the great abbreviators. None of us has the wit to know the whole truth, the time to tell it if we believed we did, or an audience so gullible as to accept it.” -Huxley “I’m all for progress. It’s change I can’t stand.” -Mark Twain * Robert Alan Hershey is a Professor on both the Law and American Indian Studies Faculties and Director of Clinical Education for the Indigenous Peoples Law & Policy Program at the University of Arizona. He received his law degree from the University of Arizona College of Law in 1972. In 1972 and 1973, he worked as Staff Attorney for the Fort Defiance Agency of Dinebeiina Nahilna Be Agaditahe (DNA Legal Services) on the Navajo Indian Reservation. Thereafter, as a sole practitioner, Professor Hershey specialized in Indian affairs. From 1983 to 1999, he served as Special Litigation Counsel and Law Enforcement Legal Advisor to the White Mountain Apache Tribe, and, from 1995 to 1997, as Special Counsel to the Pascua Yaqui Tribe. Professor Hershey has also served continuously from 1989-present as Judge Pro Tempore for the Tohono O=odham Judiciary, and he is a past Associate Justice for the Yavapai-Prescott Indian Tribal Court of Appeals. He has been a member of the White Mountain Apache, Hopi, Pascua Yaqui, and Tohono O=odham Tribal Courts. -
Who Are These Economists, Anyway?
mm-T&A09GalbraithSF.qxp:Layout 1 11/10/09 3:40 PM Page 85 Who Are These Economists, Anyway? by James K. Galbraith Of course, there were exceptions to these trends: a few economists challenged the assumption of rational behavior, questioned the belief that financial markets can be trusted and pointed to the long history of financial crises that had devastating economic consequences. But they were swimming against the tide, unable to make much headway against a pervasive and, in retrospect, foolish complacency. —Paul Krugman, New York Times Magazine , September 6, 2009 Amen. While normal ecclesiastic practice places this word at the end of the prayer, on this occa - sion it seems right to put it up front. In two sentences, Professor Paul Krugman, Nobel Laureate in Economics for 2008 and in some ways the leading economist of our time, has summed up the failure of an entire era in economic thought, practice, and policy discussion. And yet, there is something odd about the role of this short paragraph in an essay of over 6,500 words. It’s a throwaway. It leads nowhere. Apart from one other half-sentence, and three passing mentions of one person, it’s the only discussion—the one mention in the entire essay— of those economists who got it right. They are not named. Their work is not cited. Their story remains untold. Despite having been right on the greatest economic question of a generation—they are unpersons in the tale. Krugman’s entire essay is about two groups, both deeply entrenched at (what they believe to be) the top of academic economics. -
1 in the UNITED STATES DISTRICT COURT for the EASTERN DISTRICT of WISCONSIN JANE DOES, Individually and ) on Behalf of Others S
IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF WISCONSIN JANE DOES, individually and ) on behalf of others similarly situated, ) ) Plaintiffs, ) Case No. 2:20-cv-00704 ) v. ) JURY DEMANDED ) DONALD J. TRUMP, in his individual and official ) capacity as President of the United States; ) MITCH MCCONNELL, in his individual and ) official capacity as a Senator and Sponsor of ) S. 3548 CARES Act; NANCY PELOSI, in her ) individual and official capacity as Speaker for the ) U.S. House of Representatives; CHARLES ) SCHUMER, in his individual and official capacity ) as a Senator and U.S. Senate Minority Leader; ) STEVEN MNUCHIN, in his individual and official ) capacity as the Acting Secretary of the U.S. ) Department of Treasury; CHARLES RETTIG, in ) his individual and official capacity as U.S. ) Commissioner of Internal Revenue; U.S. ) DEPARTMENT OF THE TREASURY; the ) U.S. INTERNAL REVENUE SERVICE; and the ) UNITED STATES OF AMERICA, ) ) Defendants. ) CLASS ACTION COMPLAINT NOW COME Plaintiffs, JANE DOES, (hereinafter “Does” or “Plaintiffs”), individually and on behalf of the proposed class, by and through their attorneys, Blaise & Nitschke, P.C., and submit their class action complaint against DONALD J. TRUMP, in his individual and official capacity as President of the United States; MITCH MCCONNELL, in his individual and official capacity as United States Senator and the Sponsor of S. 3548 CARES Act; NANCY PELOSI, in her individual and official capacity as Speaker for the U.S. House of Representatives; CHARLES SCHUMER, in his individual and official capacity as a Senator and U.S. Senate Minority Leader; STEVEN MNUCHIN, in his individual and official capacity as the Acting Secretary of the U.S. -
Spring Meeting Program
May 22, 2019 RENAISSANCE ARLINGTON CAPITAL VIEW HOTEL CRYSTAL CITY, VIRGINIA SPRING MEETING PROGRAM ____________________ GOLD SPONSORS __________________ A COMPANY presented by PROGRAM 7:45-8:30 am Continental Breakfast Sponsored by Jackson Hewitt 8:30-8:50 am Welcome & Introductions Tim Hugo, CERCA Executive Director Kathy Pickering, CERCA Chair & Vice President, Regulatory Affairs & Executive Director, The Tax Institute for H&R Block 8:50-9:25 am “Phew, The Tax Season Is Over” A Review of this past Tax Season by the CERCA Board Moderator: Kathy Pickering, CERCA Chair & Vice President, Regulatory Affairs & Executive Director, The Tax Institute for H&R Block Panel: John Sapp, Vice President, Strategic Development, Drake Pete Isberg, Vice President, ADP Bill Nelson, President, Republic Processing Group, Republic Bank 9:25-9:50 am States’ Letters of Intent – Industry Perspectives Moderator: Timur Taluy, President, FileYourTaxes.com Panel: Mark Castro, Government/Industry Liaison, CrossLink Tax Professional Services Mimi Nolan, Director-Regulatory Affairs, The Tax Institute at H&R Block 9:50-10:00 am CERCA Announcements Tim Hugo, Executive Director 10:00-10:30 am Keynote Address: The Honorable Charles P. Rettig Commissioner of the Internal Revenue Service 10:30-10:50 am Morning Break Sponsored by Leidos 10:50-11:30 am Overcoming Language & Cultural Barriers in the Tax Preparation Industry Moderator: Shannon Bond, Senior Director, Government Relations, Wolters Kluwer Panel: Seth Babb, Director of Consumer Product Management, TaxSlayer Michele -
How I Did It: Ebay's Founder on Innovating the Business Model Of
How I Did It: EBay’s Founder on Innovating the Business Model... http://hbr.org/2011/09/ebays-founder-on-innovating-the-busines... How I Did It: EBayʼs Founder on Innovating the Business Model of Social Change by Pierre Omidyar The Idea: Omidyar was inspired by eBayʼs social impact to create a hybrid model for his philanthropic Omidyar Network: a combination of nonprofit and for-profit. My journey as a philanthropist began in September 1998, on the day eBay went public. Iʼd spent two weeks helping with the pre-IPO road show, and weʼd arrived at the New York office of Goldman Sachs. I was exhausted. The actual moment was pretty anticlimactic. Weʼd always assumed that when you go public, your stock starts trading the moment the market opens, but it doesnʼt work that way. You have to wait for the bankers to do their initial trades. So when the market opened, we just stood around on the trading floor with nothing to do. Nobody was really paying attention to us. There was an electronic ticker on the wall, and after about 45 minutes somebody gave us a heads-up that we should start looking for eBay. Sure enough, a few minutes later we saw our ticker symbol coming across from right to left. We cheered; we hugged; we high-fived. We had priced the initial public offering at $18 a share, which made my stake worth a few hundred million dollars. During the course of the day the stock rose to nearly $54. My shares, like those of all the other insiders, would be locked up for six months, so at this point it was just paper wealth. -
Better Tax Enforcement Can Advance Fairness and Raise More Than $1 Trillion of Revenue by Galen Hendricks and Seth Hanlon April 19, 2021
Better Tax Enforcement Can Advance Fairness and Raise More Than $1 Trillion of Revenue By Galen Hendricks and Seth Hanlon April 19, 2021 On March 31, 2021, President Joe Biden released his American Jobs Plan, proposing to ramp up investment in infrastructure and innovation to make the U.S. economy more productive while confronting climate change.1 In the coming weeks, he is expected to propose a similarly ambitious plan for investing in people and meeting human needs.2 As the administration and Congress look for ways to offset the fiscal costs of these initiatives, one option stands out as perhaps the most obvious: making the wealthy and corporations pay the taxes that they already owe. The most recent official estimates suggest that the United States is currently los- ing about $600 billion in revenue each year from taxes that are owed but not paid and would lose $7.5 trillion over the next decade.3 However, on April 13, 2021, IRS Commissioner Charles Rettig told Congress that he believes the United States is los- ing much more revenue—possibly $1 trillion or more every year. Rettig pointed to new research showing that offshore tax evasion and underreported income of pass- through business entities is much larger than previously believed—and to the explo- sive growth of cryptocurrency. Senators called the $1 trillion figure “shocking” and “jaw-dropping.”4 The richest 1 percent of Americans are responsible for an outsize share of the lost rev- enue—36 percent of unpaid individual income taxes by one recent estimate, or $175 billion per year.5 None of these revenue loss estimates include the majority of corpo- rate tax dodging, which is done by shifting profits to tax haven countries using legal or quasi-legal techniques.