Mr Qiang Cai
Lecturer
- 51cg
-
- Email Address
- qiang.cai@abdn.ac.uk
- School/Department
- School of Law
Biography
Dr Qiang Cai joined the 51cg in April 2020 after graduating from the University of Edinburgh, where he conducted his doctorate research on international taxation and its dispute resolution. Benefiting from an interdisciplinary approach, his research covers tax law, international tax law and company law. He is delighted to supervise PhD candidates pursuing topics related to the above three domains.
Since October 2020, he's acted as the deputy director of the Centre for Commercial Law (CCL).
Memberships and Affiliations
- Internal Memberships
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Centre for Commercial Law (CCL)
- External Memberships
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The Scottish Law and Innovation Network (SCOTLIN)
- Teaching
- Publications
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Page 1 of 1 Results 1 to 19 of 19
Inputs to UN Co-Lead’s Draft Protocol on the Taxation of Income from Cross-Border Services
United Nations Publications (PDF). 2 pages.Other Contributions: Other Contributions- [OPEN ACCESS]
- [ONLINE]
Inputs to Co-Lead’s Zero Draft of the UN Framework Convention on International Tax Cooperation
United Nations Publications (PDF). 4 pages.Other Contributions: Other Contributions- [OPEN ACCESS]
- [ONLINE]
Building Trust before Losses: Changing China’s Partnership Default Rule from Actual to Subscribed Capital Contributions?
Business Law ReviewContributions to Journals: ArticlesInputs to: Intergovernmental Negotiating Committee on the United Nations Framework Convention on International Tax Cooperation: Workstream I – Co-Lead’s Draft Framework Convention Template
Working Papers: Discussion Papers- [ONLINE]
- [OPEN ACCESS]
- [ONLINE]
An Examination of Partly-Paid Shares in China’s New Company Law and Lessons for Comparative Company Law
European Business Law Review, vol. 36, no. 6, pp. 923-946Contributions to Journals: Articles- [ONLINE] DOI:
- [OPEN ACCESS]
Reassessing the Economic Allegiance Theory from a Transaction Cost Perspective: What’s the Benefit Principle Got to Do with It?
World Tax Journal, vol. 17, no. 4Contributions to Journals: Articles- [ONLINE] DOI:
- [ONLINE]
Corporate Governance in Platform Governance: Reassessing Stakeholderism in a Disruptive Era
European business organization law review, vol. 35, no. 6, pp. 851-876Contributions to Journals: Articles- [ONLINE] DOI:
- [OPEN ACCESS]
- [ONLINE]
Governing Investments on Mars: Why A “Host State” is Needed?
Florida Journal of International Law, vol. XXXV, no. IIIContributions to Journals: Articles- [OPEN ACCESS]
双碳目标下平台治理对气候变化的影响及应对策略: 以阿里巴巴碳中和行动为例
Modern Urban Research (现代城市研究), vol. 2023, no. 7, pp. 94-100Contributions to Journals: Articles- [ONLINE] DOI:
Hello Platform Governance; But Never Ending Corporate Governance
European Company Law, vol. 19, no. 2, pp. 47-56Contributions to Journals: Articles- [ONLINE]
- [OPEN ACCESS]
Digitalization of International Tax Dispute Resolution: Reflection in Light of the Covid-19 Pandemic
intertax, vol. 49, no. 8/9, pp. 656 – 673Contributions to Journals: Articles- [ONLINE]
- [OPEN ACCESS]
Response to HMRC Consultation on Clamping Down on Promoters of Tax Avoidance
51cg: School of Law. 9 pages.Other Contributions: Other ContributionsThe New Taxing Right and Its Scope Limitations: A Theoretical Reflection
intertax, vol. 49, no. 3, pp. 210-222Contributions to Journals: Articles- [ONLINE]
- [OPEN ACCESS]
International Tax Dispute Resolution in Light of Pillar One: New Challenges and Opportunities
Bulletin for International Taxation, vol. 75, no. 2, pp. 94-107Contributions to Journals: Articles- [ONLINE]
- [ONLINE]
Glen Loutzenhiser and Rita de la Feria (eds), The Dynamics of Taxation: Essays in Honour of Judith Freedman: Book Review
Edinburgh Law Review, vol. 25, no. 3, pp. 414-415Contributions to Journals: Reviews of Books, Films and Articles- [ONLINE] DOI:
New Taxing Right in the Unified Approach: Old Wine in a New Bottle
intertax, vol. 48, no. 11, pp. 956-965Contributions to Journals: Articles- [ONLINE]
- [OPEN ACCESS]
Behind Sovereignty: Concerns 51cg International Tax Arbitration and How They May be Addressed
British Tax Review, no. 4, pp. 441-464Contributions to Journals: Articles- [ONLINE]
A Theoretical Reflection on the OECD’s New Statistics Reporting Framework for the Mutual Agreement Procedure: Isolating, Measuring, and Monitoring
Journal of International Economic Law, vol. 21, no. 4, pp. 867-884Contributions to Journals: Articles- [ONLINE] DOI:
A Package Deal Is Not a Bad Deal: Reassessing the Method of Package Negotiation Under the Mutual Agreement Procedure
intertax, vol. 46, no. 10, pp. 744-752Contributions to Journals: Articles- [ONLINE]