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Offshoring (a.k.a. Offshore Outsourcing) and Job Insecurity Among U.S. Workers
No Description Available.
Offshoring (a.k.a. Offshore Outsourcing) and Job Insecurity Among U.S. Workers
No Description Available.
Unemployment and Economic Recovery
This report examines the relationship between economic growth and the unemployment rate to anticipate possible future developments.
The Work Opportunity Tax Credit: A Fact Sheet
The 104th Congress replaced the Targeted Jobs Tax Credit (TJTC, 1978-1994) with the Work Opportunity Tax Credit (WOTC) in section 1201 of the Small Business Job Protection Act of 1996 (P.L. 104-188). This document provides basic facts about the WOTC.
No-Fault Automobile Insurance: Selected References, 1972-January 1974
This report is a bibliography containing references to recent literature about no-fault automobile insurance.
"Hollowing Out" in U.S. Manufacturing: Analysis and Issues for Congress
Statistics showing that domestic value added represents a diminishing share of the value of U.S. factory output have been interpreted by many analysts as indicating that manufacturing is "hollowing out" as U.S. manufacturers undertake more highvalue work abroad. Economic data have been slow to take note of this development, which raises the question of whether the United States will continue to generate highly skilled, high-wage jobs related to advanced manufacturing. This report discusses economic evidence related to the "hollowing out" thesis with respect to the manufacturing sector. It then considers the policy implications of the debate.
"Hollowing Out" in U.S. Manufacturing: Analysis and Issues for Congress
The health of the U.S. manufacturing sector has been a long-standing concern of Congress. Only a small proportion of U.S. workers are now employed in factories. U.S. factories have stepped up production of goods that require high technological sophistication but relatively little direct labor. In the context of national security, the fact that U.S. manufacturers of vital products are critically dependent upon inputs from abroad is frequently a subject of concern. International comparisons indicate that the United States is in no way unique in its dependence on foreign inputs to manufacturing.
Job Creation in the Manufacturing Revival
This report looks at recent growth in the U.S. manufacturing sector, which has occurred not only as a result of the country's recovery from recession but also because a change in the nature of manufacturing work.
Job Creation in the Manufacturing Revival
This report examines the current status of the manufacturing sector in the U.S., which is a subject of ongoing interest in Congress. After rebounding from the 2007-09 recession, U.S. manufacturing output has grown little since the second half of 2014. Over the same period, employment in the U.S. manufacturing sector has been flat. These trends defy expectations that forces such as higher labor costs in the emerging economies of Asia, heightened concern about the risk of disruptions to long, complex supply chains, and the development of inexpensive domestic supplies of natural gas would increase the relative attractiveness of the United States as a location for factory production.
U.S. Manufacturing in International Perspective
This report is designed to inform the debate over the health of U.S. manufacturing through a series of charts and tables that depict the position of the United States relative to other countries according to various metrics. This report does not describe or discuss specific policy options.
Should Federal Law Restrict Where a Company May File Bankruptcy?
This report discusses laws and regulations regarding where a company may file for bankruptcy and a recently proposed bill which would restrict the locations where companies could file for bankruptcy.
AT and T Divestiture: Restructuring the U.S. Domestic Telephone Industry
On January 8, 1982, the Justice Department and the American Telephone and Telegraph Company announced the settlement of the Government's seven year old antitrust suit against AT&T. Nineteen months later, in August 1983, U.S. District Court Judge Harold Greene gave final approval to the AT& T divestiture agreement. The breakup of AT&T will affect every aspect of the U.S. domestic telephone industry from the yellow pages to the manufacture of telephones. AT&T officially spun off its 22 local operating companies into seven regional phone companies on January 1, 1984. This Info Pack focuses on the Department of Justice settlement with AT&T and how the resulting divestiture will affect the U.S. domestic telephone industry.
Space Issues
No Description Available.
Telephone Industry Issues
No Description Available.
Offshore Oil: Selected References, 1969-1975
This report cites the references to the literature on offshore oil in North America which follow have been compiled from the computerized bibliographic database.
Influenza Vaccine Shortages and Implications
No Description Available.
Bovine Spongiform Encephalopathy (BSE, or “Mad Cow Disease”): Current and Proposed Safeguards
This report discusses the then Current and Proposed Safeguards related to Bovine Spongiform Encephalopathy (BSE, or “Mad Cow Disease”) in the United States.
U.S. Defense Procurement Reform: Major Congressional Initiatives
No Description Available.
U.S. Defense Procurement Reform: Major Congressional Initiatives
No Description Available.
Community Development Financial Institutions (CDFI) Fund: Programs and Policy Issues
This report discusses the Community Development Financial Institutions (CDFI) Fund which assists CDFI's which are business that provide financial products and services.
Small Business Administration Trade and Export Promotion Programs
This report begins with the history, role, and scope of SBA's export promotion activities, and the creation of OIT. Next, quantitative data from SBA and qualitative data from other sources are used to provide performance analysis of SBA's international programs. This report concludes with a presentation of three issues for consideration during an era where concerns of fiscal responsibility and economic recovery are high priorities for many policy makers.
Small Business Administration Trade and Export Promotion Programs
This report begins with the history, role, and scope of the Small Business Administration's (SBA's) export promotion activities, and the creation of the Office of International Trade (OIT). Next, quantitative data from SBA and qualitative data from other sources are used to provide performance analysis of SBA's international programs. This report concludes with a presentation of three issues for consideration during an era where concerns of fiscal responsibility and economic recovery are high priorities for many policy makers.
State Sales Taxation of Internet Transactions
No Description Available.
Location-Based Preferences in Federal and Federally Funded Contracting: An Overview of the Law
This report discusses constitutional and other legal issues related to the creation and implementation of location-based preferences in federal contracting, as well as summarizes key authorities requiring or allowing federal agencies to "favor" contractors located in specific places. The report does not address federal preferences for domestic products or provisions of federal law that could, depending upon their implementation, effectively prefer local contractors, such as project labor agreements.
Location-Based Preferences in Federal and Federally Funded Contracting: An Overview of the Law
This report discusses constitutional and other legal issues related to the creation and implementation of location-based preferences in federal contracting, as well as summarizes key authorities requiring or allowing federal agencies to "favor" contractors located in specific places. The report does not address federal preferences for domestic products or provisions of federal law that could, depending upon their implementation, effectively prefer local contractors, such as project labor agreements.
Australia, the Southwest Pacific, and United States Interests
This report discusses the details related to U.S interests in the South-west Pacific, U.S - Australian strategic relationships, Australia's role in the region, and China's growing regional influence
Updated: Will the Supreme Court Address State's Power to Require that Retailers Tax Internet Sales?
This report is an update of an earlier report regarding a state's power to require retailers to tax internet sales in the purchasers state of residence. A case was brought by the state of South Dakota against Wayfair.com (South Dakota v. Wayfair) which was accepted to be heard by the Supreme Court on January 12, 2018.
Corporate Inversions: Frequently Asked Legal Questions
This report answers frequently-asked legal questions about corporate inversions. It answers questions relating to the scope and operation of Section 7874, including how key statutory terms have been interpreted by the Internal Revenue Service (IRS). It discusses important Department of Treasury regulations that were finalized in 2015 and 2016, and answers questions about the IRS's authority to issue these regulations. Other questions that are answered relate to legislation introduced in the 114th Congress, the interaction of Section 7874 with tax treaties, and the imposition of an excise tax on corporate insiders who benefit from an inversion.
“Amazon” Laws and Taxation of Internet Sales: Constitutional Analysis
This report covers ways in which states are attempting to capture taxes on Internet sales. Two basic approaches include imposing tax collection responsibilities on the retailer, and requiring remote sellers to provide tax information to the state and/or it's customers. This report covers the legality of both options.
"Amazon Laws" and Taxation of Internet Sales: Constitutional Analysis
This report focuses on the ways in which the states' efforts to impose requirements on out-of-state retailers are limited by the Constitution. The report discusses recent state legislation as well as legislation introduced in the two most recent Congresses.
“Amazon Laws” and Taxation of Internet Sales: Constitutional Analysis
The report is a Constitutional Analysis of “Amazon Laws” and Taxation of Internet Sales: Constitutional Analysis.
"Amazon Laws" and Taxation of Internet Sales: Constitutional Analysis
As more purchases are made over the Internet, states are looking for new ways to collect taxes on online sales. There is a common misperception that the U.S. Constitution prohibits states from taxing Internet sales. This report discusses "Amazon laws", which try to capture uncollected taxes on Internet sales and yet still comply with the Constitution's requirements.
Health Insurance: The Pro-Competition Proposals
For more than a decade, Congress and the Executive Branch have tried to stem spiraling health care costs through various regulatory actions at the Federal and State levels. Planning laws, for example, focus regulatory attention on the capacity of the health care industry to provide health services. Other laws have created programs to monitor and control the use of services provided to individual patients. Direct wage and price controls were applied to the health industry in the early 1970's and in recent years Congress has debated whether to impose controls over hospital spending in the United States. This report discusses the debate surrounding various approaches to lower health care costs.
Analysis of Recent Proposals to Amend the Resource Conservation and Recovery Act (RCRA) to Create a Coal Combustion Residuals Permit Program
This report identifies key elements of the Environmental Protection Agency's approach to the implementation of the Resource Conservation and Recovery Act and regulations of coal combustion residuals. Under this approach, the EPA would have no formal role in creating state program to regulate coal combustion residuals and instead allows states that opt in to implement a coal combustion residuals permit program.
Managing Electronic Waste: Issues with Exporting E-Waste
Electronic waste (e-waste) is a term that is used loosely to refer to obsolete, broken, or irreparable electronic devices like televisions, computer central processing units (CPUs), and computer monitors. There are various issues of concern with regard to e-waste disposal and recycling. This report looks at issues specifically related to its export for recycling. Particularly, it discusses documented impacts to human health and the environment that have been tied to unsafe recycling practices in developing countries, as well as issues that have motivated certain stakeholders to divert e-waste from landfill disposal and, hence, increase recycling. It also provides an overview of various factors necessary to understand why e-waste disposal has become a concern in the United States, and it also discusses waste management requirements in the United States.
Federal Assistance Programs: How to get Information about them and apply for Assistance (including a guide on how to use the Catalog of Federal Domestic Assistance)
This report is a journey of the federal assistance program which talks about how to get information about them and apply for assistance.
Alternative Minimum Taxpayers by State: 2005, 2006, and Projections for 2008
This report
Average Marginal Income Tax Rates by Adjusted Gross Income and Filing Status
This report presents average marginal income tax rates by filling status and detailed adjusted gross income(AGI) class for the 2001 tax year.
Internet Commerce and State Sales and Use Taxes
State governments rely on sales and use taxes for approximately one-third (33.6%) of their total tax revenue - or approximately $179 billion in FY2002 .' Local governments derived 12.4% of their tax revenue or $44 .1 billion from local sales and use taxes in FY20012 Both state and local sales taxes are collected by vendors at the time of transaction and are levied at a percentage of a product's retail price. Alternatively, use taxes are not collected by the vendor if the vendor does not have nexus (loosely defined as a physical presence) in the consumer's state . Consumers are required to remit use taxes to their taxing jurisdiction . However, compliance with this requirement is quite low. Because of the low compliance, many observers suggest that the expansion of the internet as a means of transacting business across state lines, both from business to consumer (B to C) and from business to business (B to B), threatens to diminish the ability of state and local governments to collect sales and use taxes . Congress has a role in this issue because commerce between parties in different states conducted over the Internet falls under the Commerce Clause of the Constitution.' Congress can either take an active or passive role in the "Internet tax" debate. This report intends to clarify important issues in the Internet tax debate .
Internet Commerce and State Sales and Use Taxes
In theory, state sales and use taxes are based on the destination principle, which prescribes that taxes should be paid where the consumption takes place. States are concerned because they anticipate gradually losing more tax revenue as the growth of Internet commerce allows more residents to buy products from vendors located out-of-state and evade use taxes. The size of the revenue loss from Internet commerce and subsequent tax evasion is uncertain. Congress is involved in this issue because commerce conducted by parties in different states over the Internet falls under the Commerce Clause of the Constitution. The degree of congressional involvement is an open question.
Internet Commerce and State Sales and Use Taxes
State governments rely on sales and use taxes for approximately one-third (32.3%) of their total tax revenue – or approximately $174 billion in FY2000. Local governments derived 16.4% of their tax revenue or $51.6 billion from local sales and use taxes in FY1999. Both state and local sales taxes are collected by vendors at the time of transaction and are levied at a percentage of a product’s retail price. Alternatively, use taxes are not collected by vendors if they do not have nexus (loosely defined as a physical presence) in the consumer’s state. Consumers are required to remit use taxes to their taxing jurisdiction. However, compliance with this requirement is quite low. Because of the low compliance, many observers suggest that the expansion of the internet as a means of transacting business across state lines, both from business to consumer (B to C) and from business to business (B to B), threatens to diminish the ability of state and local governments to collect sales and use taxes. Congress has a role in this issue because commerce between parties in different states conducted over the Internet falls under the Commerce Clause of the Constitution. Congress can either take an active or passive role in the “Internet tax” debate. This report intends to clarify important issues in the Internet tax debate.
Internet Commerce and State Sales and Use Taxes
State governments rely on sales and use taxes for approximately one-third (32.3%) of their total tax revenue – or approximately $174 billion in FY2000. Local governments derived 16.4% of their tax revenue or $51.6 billion from local sales and use taxes in FY1999. Both state and local sales taxes are collected by vendors at the time of transaction and are levied at a percentage of a product’s retail price. Alternatively, use taxes are not collected by vendors if they do not have nexus (loosely defined as a physical presence) in the consumer’s state. Consumers are required to remit use taxes to their taxing jurisdiction. However, compliance with this requirement is quite low. Because of the low compliance, many observers suggest that the expansion of the internet as a means of transacting business across state lines, both from business to consumer (B to C) and from business to business (B to B), threatens to diminish the ability of state and local governments to collect sales and use taxes. Congress has a role in this issue because commerce between parties in different states conducted over the Internet falls under the Commerce Clause of the Constitution. Congress can either take an active or passive role in the “Internet tax” debate. This report intends to clarify important issues in the Internet tax debate.
Internet Transactions and the Sales Tax
This report is an introduction to the economics of electronic commerce and its potential impact on sales and use tax collections. Presently, 45 states (and the District of Columbia) require that retail outlets add a fixed percentage to the sales price of all taxable items (inclusive of federally imposed excise taxes).
State and Local Sales and Use Taxes and Internet Commerce
In theory, state sales and use taxes are based on the destination principle, which prescribes that taxes should be paid where the consumption takes place. States are concerned because they anticipate gradually losing more tax revenue as the growth of Internet commerce allows more residents to buy products from vendors located out-of-state and evade use taxes. The size of the revenue loss from Internet commerce and subsequent tax evasion is uncertain. Congress is involved in this issue because commerce conducted by parties in different states over the Internet falls under the Commerce Clause of the Constitution. The degree of congressional involvement is an open question.
State and Local Sales and Use Taxes and Internet Commerce
In theory, state sales and use taxes are consumption taxes based on the destination principle. The destination principle prescribes that taxes should be paid where the consumption takes place. Sales taxes collected at the point of sale achieve this if consumption takes place near the point of transaction. Thus, to remain consistent with the destination principle, consumers pay a use tax on products purchased out-of-state and used in their home state where consumption likely takes place.
State and Local Sales and Use Taxes and Internet Commerce
No Description Available.
State Corporate Income Taxes: A Description and Analysis
No Description Available.
State Corporate Income Taxes: A Description and Analysis
No Description Available.
The Streamlined Sales and Use Tax Agreement: A Brief Description
No Description Available.
The Streamlined Sales and Use Tax Agreement: A Brief Description
No Description Available.
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