
Lecturer
- About
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- Email Address
- qiang.cai@abdn.ac.uk
- School/Department
- School of Law
Biography
Dr. Cai joined the University of Aberdeen in 2020. At the same year, he successfully defended his doctorate research and was awarded the PhD degree by the University of Edinburgh, where he also taught the course of international taxation. Before moving to UK, he had practiced criminal law in China for about five years. He researches and publishes on tax law and business law, with a particular focus on tax dispute resolution and the tax challenges of digitalization. He also maintains interests in law and economics, international politics and white-collar crime. Since October 2020, he's acted as the deputy director of the Centre for Commercial Law (CCL).
Internal Memberships
Centre for Commercial Law (CCL)
- Teaching
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Courses
- Publications
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Page 1 of 1 Results 1 to 10 of 10
Hello Platform Governance; But Never Ending Corporate Governance
European Company Law, vol. 19, no. 2, pp. 47-56Contributions to Journals: ArticlesDigitalization of International Tax Dispute Resolution: Reflection in Light of the Covid-19 Pandemic
intertax, vol. 49, no. 8/9, pp. 656 – 673Contributions to Journals: ArticlesResponse to HMRC Consultation on Clamping Down on Promoters of Tax Avoidance
University of Aberdeen: 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: ArticlesInternational 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: ArticlesGlen 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: https://doi.org/10.3366/elr.2021.0730
New Taxing Right in the Unified Approach: Old Wine in a New Bottle
intertax, vol. 48, no. 11, pp. 956-965Contributions to Journals: ArticlesBehind Sovereignty: Concerns About International Tax Arbitration and How They May be Addressed
British Tax Review, no. 4, pp. 441-464Contributions to Journals: ArticlesA 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: https://doi.org/10.1093/jiel/jgy043
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