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11 Apr 2011, 5:53 am
 Instead, I just have one, more pointed closing question:  Why on earth does the United States have such ridiculously high corporate tax rates? [read post]
2 Oct 2011, 2:33 am by LindaMBeale
  Generating more revenues from the corporate tax would be beneficial in several ways. [read post]
22 Mar 2018, 11:35 am by Dan Carvajal
The smallest source of tax revenue for the United States was the corporate income tax. [read post]
6 Sep 2017, 5:30 am by Dan Carvajal
The smallest source of tax revenue for the United States was the corporate income tax. [read post]
30 Jul 2018, 11:58 am by Kevin Kaufman
For example, a lower statutory corporate tax rate could make it more attractive to shift profits to the United States. [read post]
22 Jan 2019, 11:46 am by Kevin Kaufman
Corporate Tax Revenues In 2016, on average across the 88 jurisdictions covered in the database, CIT revenue as a percentage of total tax revenue was 13.3 percent, and CIT revenue as a percentage of GDP was 3.0 percent. [read post]
25 Apr 2019, 10:36 am by Kevin Kaufman
Corporate income taxes accounted for 7.07 percent of total tax revenue. [read post]
11 Mar 2020, 7:56 am by Kevin Kaufman
Corporate income taxes accounted for 4.35 percent of total tax revenue in 2018, the first tax year after passage of the Tax Cuts and Jobs Act, and 2.11 percentage points less than in 2017. [read post]
17 Feb 2021, 8:18 am by Kevin Kaufman
Corporate income taxes accounted for 3.9 percent of total tax revenue in 2019, the second year after passage of the Tax Cuts and Jobs Act, and 1.9 percentage points less than in 2017. [read post]
16 Feb 2023, 3:00 am by Kevin Kaufman
United Kingdom The United Kingdom estimated in its 2022 Autumn Statement that the implementation of Pillar Two would raise GBP 2.3 billion a year by 2027-28 (USD 2.7 billion). [read post]
11 Feb 2021, 3:55 am by Kevin Kaufman
In 2019, Latvia (0.5 percent), Hungary (2 percent), United States (3.9 percent) and Italy (4.6 percent) relied the least on the corporate income tax. [read post]
19 Feb 2020, 4:00 am by Kevin Kaufman
The United States raised the least amount of tax revenue in the OECD from consumption taxes, at 17.6 percent in 2018. [read post]
27 Feb 2023, 1:03 pm by Kyle Hulehan
Corporate income taxes accounted for 6 percent of total U.S. tax revenue in 2020. [read post]
12 Sep 2018, 6:01 am
The legislation would require all U.S. corporations with $1 billion or more in annual revenues to obtain a federal charter as a “United States corporation” and would obligate corporate directors to consider the interests of all corporate stakeholders in their corporate governance activities. [1] That same day, Senator Warren presented an opinion editorial in The Wall Street Journal citing her rationale. [read post]
17 Aug 2018, 6:18 am
Senator Elizabeth Warren has introduced legislation to make all corporations with $1,000,000,000 of annual revenue subject to Federal corporate governance (by requiring them to be chartered as a United States corporation). [read post]
10 Sep 2012, 4:38 am by Jim Singer
The United States Internal Revenue Service recently issued guidelines on how it intends to treat certain transfers of patents, trademarks and other intangible assets from U.S. corporations to foreign entities. [read post]
23 Apr 2019, 4:00 am by Kevin Kaufman
The United States raised the least amount of tax revenue from consumption taxes in the OECD at 15.9 percent in 2017. [read post]
17 Mar 2020, 5:29 am by Cari Rincker
According to the Internal Revenue Service (IRS), an S corporation is a corporation that has elected treatment as a pass-through entity for federal income tax purposes under Subchapter S of the Internal Revenue Code[1]. [read post]
28 Mar 2012, 9:57 am by Jeffery K. Mitchell
If the shareholders take no action with the Internal Revenue Service, the corporation will be taxed as a “C” corporation by default. [read post]
18 Feb 2008, 2:11 am
Pirelli Cable Holding NV and others v Commissioners for Revenue and Customs [2008] EWCA Civ 70; [2008] WLR (D) 48 “The United Kingdom tax authorities had not assumed responsibility for eliminating double taxation on the dividend paid by a UK subsidiary to a parent resident in the Netherlands or Italy in circumstances where the UK had not levied corporation tax on the dividend. [read post]