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Prospective employees’ social media profiles.

Companies should or should not look at prospective employees’ social media profiles.
Consumer boycotts are or are not effective.
Working remotely is or is not as efficient as working on site.
Group 1 are or are not better managers compared to Group 2. (You define the two groups: gender, age, education, etc.)
Unions are or are not good for American companies.
The government should or should not cap compensation received by CEOs.

Sample Solution

xation” concept means extracting money from the people by the government, or is it a “fee” we pay for the privilege of living in an organised society? The trite point at issue is that taxes represent a payment imposed by governments to raise funds. On the other side, tax evasion would be a form of resistance to mandatory taxation environment. Tax is a cultural phenomenon. While British income tax represents the vanguard of modern tax, the first known records of tax date back to Ancient Egypt in the reign of King Scorpion I. A tax is rarely rescinded, however, there are historical records of such practices. CHAPTER 1. PERMANENT ESTABLISHMENT CONCEPT 1. Romanian taxation of PEs Romanian taxation environment is not so old or developed like other EU Member States jurisdictions (e.g. United Kingdom, the Netherlands, Luxembourg etc.), being considered relatively new taking into account that the first comprehensive tax legislation entered into force as at January 1st, 2004 – Law no. 571/2003 regarding Fiscal Code. Until the aforementioned date, there where separate legal acts for each type of tax, such as Law no. 414/2002 regarding Corporate Income Tax, Law no. 345/2002 regarding VAT, Government Ordinance no. 26/1995 regarding Dividend Tax, Government Ordinance 
no. 7/2001 regarding Personal Income tax etc. Thus, January 1st, 2004, is considered to be a key moment in Romanian taxation, being the moment when all tax legislation was consolidated in one legal act, namely first Romanian Fiscal Code. Also, at that date entered into force Order no. 92/2003 regarding Fiscal Procedural Code, establishing the Romanian taxation procedures for all taxpayers that are subject to taxation in Romania. Twelve years later, on January 1st, 2016, the initial tax legislation were repealed, and new legislations entered into force with the purpose to update the Romanian taxation system with international taxation standards – Law no. 227/2015 regarding Fiscal Code, respectively Law no. 207/2015 regarding Fiscal Procedural Code. Concerning the Permanent Establishment, we will further analyse this concept starting with the current Romanian legislation and will move forward through the international legislation up to current challenges in BEPS era. But why is so important a PE analysis? First of all, it is worldwide accepted that the states want to tax the revenues derived within their territories. Thus, if taxation of local companies’ income is relatively easy, being took into account the specific domestic regulations (e.g. revenues of a Romanian resident entity will be taxed with 16% for corporate income taxpayer, respectively 1% or 3% for microenterprise taxpayers), taxation of non-residents should be analysed from a case by case, in order to avoid a double taxation for the same type of i
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