2 edition of Risk-spreading properties of common tax and contract instruments found in the catalog.
Risk-spreading properties of common tax and contract instruments
James K. Sebenius
|Statement||J.K. Sebenius, P.J.E. Stan.|
|Contributions||Stan, Peter J. E., 1955-, Rand Corporation.|
|The Physical Object|
|Pagination||26 p. ;|
|Number of Pages||26|
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Risk-spreading properties of common tax and contract instruments (The Rand paper series) Unknown Binding – by James K Sebenius (Author) Be the first to review this item.
See all formats and editions Hide other formats and editions. Price New from Author: James K Sebenius. their risk-spreading properties may differ. For equal expected levies, profit-sharing is often ranked as the most effective means of risk-spreading, followed by royalty payments, and finally byfixedfees.
When revenues and costs are both uncertain, however, we demonstrate that this common risk-ranking is not generally valid and discuss reasons for its breakdown.
Risk-spreading properties of common tax and contract instruments. Santa Monica, Calif.: Rand Corp., [?] (OCoLC) Document Type: Book: All Authors / Contributors: James K Sebenius; Peter J E Stan; Rand Corporation. Even where payments due under such instruments have the same expected value, their risk-spreading implications for the parties involved may differ.
For equal expected levies, profit-sharing is often ranked as the most effective means of risk-sharing, followed by royalty payments, and, finally, by fixed fees, which supposedly fail completely in spreading by: Even when payments due under such instruments have the same expected value, their risk-spreading properties may differ.
For equal expected levies, profit-sharing is often ranked as the most effective means of risk-spreading, followed by royalty payments, and finally by fixed fees.
Sebenius, James K., and Peter Stan. "Risk-Spreading Properties of Common Tax and Contract Instruments." Bell Journal of Economics and Management Science Cited by: Land and building tax will be levied based on value of land and building.
•Key points of the Bill can be summarized as the following: 1. Taxpayers -Taxpayers will be owners of land, building, including an owner of a condominium unit and any person who is in possession of land or building which belongs to state. The Foundation is not a tax attorney and is in no way affiliated with the United States Government or entity.
The Foundation is not affiliated with any Legal Society. The Foundation is a Private Unincorporated Membership ORGANIZATION and Educational Firm.
Search the world's most comprehensive index of full-text books. My library. are based on the book values of total debt and total equity. are based on the market value of the firm's debt and equity securities.
are computed using the book value of the long-term debt and the book value of equity. remain constant over time unless the firm issues new securities. are restricted to the firm's debt and common. Managing tax risk is not about minimizing risk, but rather is about optimizing risk and value by determining what risk level is acceptable to your organization.
That tax risk should be aligned with the company’s broader corporate strategy, then managed and monitored. Chapter 9. Legal Instruments, Liens, Escrows and Related Issues Overview Introduction This chapter contains information about legal instruments, liens, escrows, and related issues.
In this Chapter This chapter contains the following topics. Topic Topic Description See Page 1 Security Instruments 2 Title Limitations 3 Land Sale Contracts File Size: 77KB. investment property, license rights, patents, trademarks, tradenames, copyrights, chattel paper, insurance proceeds, contract rights, hedge agreements, documents, instruments, indemnification rights, tax refunds and cash; and (c) All proceeds and products of the property and assets described in clauses (a) and (b) above.
Our Financing transactions guide provides a summary of the guidance relevant to the accounting for debt and equity instruments and serves as a roadmap to help you evaluate the accounting requirements for a particular transaction.
Specifically, this guide compiles the accounting guidance a reporting entity should consider when: Issuing debt, convertible debt, common stock, or. in society, e.g., the right to own property or to make contracts and the duty to avoid injuring others and to obey various laws.
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