I have one initial thought about the uproar over the bonuses at AIG, although I plan to offer some more in my column this week.
The US Congress is now so angry about the $165m in retention payments to employees in AIG’s financial products group that it wants to impose a tax to recoup the money, or perhaps 90 per cent of it, from anyone who gets such a bonus.
As I understand it, these employees are split between the units offices in Connecticut and London. Presumably, the Internal Revenue Service will be able to extend its long extra-territorial arm to tax the bonuses of those employees in London who are US citizens.
But what about recipients who are neither American nor based in the US? I would have thought that, on the principle of no taxation without representation, the IRS cannot touch them.
Incidentally, I have just asked AIG how many of the employees work in London and how many in Connecticut. It said it did not have the figures to hand.

Back to John Gapper's Business Blog homepage
I am the FT's chief business commentator and this blog is about business, finance, media, technology and related matters. I live in New York so there is a bias towards US topics but I range more widely. Comments and criticism, which hopefully are at least as interesting as anything I write, are welcome. There is more about me on 