Document Type

Article

Abstract

This is the slightly expanded text of a talk that the author gave on June 1, 2016, at a conference in Amsterdam that was cosponsored by NYU Law School and the Amsterdam Centre for Tax Law. The conference concerned anti-BEPS implementation in the EU, and the talk concerned the U.S. response to such efforts.

Date of Authorship for this Version

7-2016

Keywords

international taxation, OECD-BEPS, EU state aid cases, profit-shifting

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