The specific strategies employed by a hegemon in dealing with rising powers are a crucial aspect of understanding the power competition between the United States and China. International relations paradigms have been influenced by the notion of the inevitable decline of hegemonic power, often disregarding the fact that a hegemon is a product of international-level efforts in science and technological innovation. This article aims to delineate the significance of technological innovation in maintaining global dominance for a hegemon with the leadership long cycles theory. It presents an analytical framework to examine how a hegemon addresses the challenge posed by rising powers aiming to catch up in technological innovation. The analysis delves into the varied aspects of the United States' responses to threats posed by technological advancements from the Soviet Union and Japan during the Cold War. It identifies measures adopted by the United States, such as export controls, self-strengthening, self-reinforcement, containment, and absorption, particularly in critical emerging high-tech sectors, in an effort to impede China's progress in technological innovation. The article concludes that the efficacy of export-control measures in stalling China's technological advancements is not substantial. Looking ahead, the ability of the United States to control crucial nodes in the technological innovation network, rally support from its allies, and drive domestic technological innovations will pose a significant challenge to its sustained hegemony.
由於提供數位經濟服務的跨國公司不須在市場國建立恆久據點,導致利潤來源地政府無法適用傳統的常設機構原則進行課稅。面對此項國際稅收分配的挑戰,經濟暨合作發展組織(Organisation for Economic Cooperation and Development, OECD)在2013年公告「防止稅基侵蝕與利潤移轉計畫」 (BEPS),試圖建立一致的課稅替代方案。然而,部分國家後續卻自行開徵數位服務稅,美國川普政府對這些國家威脅使用301條款並發起關稅報復,直到2021年美國拜登政府支..
Host countries cannot tax digital multinational corporations (MNCs) based on the traditional permanent establishment principle because digital services are intangible. To address this challenge, the Organisation for Economic Cooperation and Development (OECD) initiated the “Base Erosion and Profit Shifting” (BEPS) multilateral regime in 2013. Nonetheless, several host countries hunting for revenue unilaterally adopted digital service taxes, and the US Trump administration responded with Section 301 tariff retaliation from 2019 t..
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