Among potential tax reforms under discussion by Congress is
revising the tax treatment of foreign source income of U.S.
multinational corporations. Some business leaders have been urging
a movement toward a territorial tax, which would eliminate some
U.S. income taxes on active foreign source income. Under a
territorial tax, only the country where the income is earned
imposes a tax. Territorial proposals include the Grubert-Mutti
proposal (included in President Bush's Advisory Panel on Tax Reform
proposal in 2005) and, more recently, a draft Ways and Means
Committee proposal and a Senate bill, S. 2091. The Fiscal
Commission also proposed a territorial tax. Proposals have,
however, also been made to increase the taxation of foreign source
income, including S. 727, and proposals by President Obama.
Although the United States has a worldwide system that includes
foreign earnings in U.S. taxable income, two provisions cause the
current system to resemble a territorial tax in that very little
tax is collected. Deferral delays paying taxes until income is
repatriated (paid as a dividend by the foreign subsidiary to its
U.S. parent). When income is repatriated, credits for foreign taxes
paid offset the U.S. tax due. Under cross-crediting, unused foreign
tax credits from high tax countries or on highly taxed income can
be used to offset U.S. tax on income in low tax countries. Some
proponents of a territorial tax urge such a system on the grounds
that the current system discourages repatriations. Economic
evidence suggests that effect is small, in part because in normal
circumstances a large share of income is retained for permanent
reinvestment. Amounts held abroad may have increased, however, as
firms lobbied for another repatriation holiday (similar to that
adopted in 2004) that allowed firms to exempt most dividends from
income on a one-time basis. Opponents are concerned about
encouraging investment abroad. A territorial tax is generally not
viewed as efficient because it favors foreign investment, but that
increased outflow of investment is likely to have a small effect
relative to the U.S. economy. Artificial shifting of profits into
tax havens or low tax countries is a current problem that could be
worsened under some territorial tax designs, and proposals have
included measures to address this problem. Proposals also address
the transitional issue of the treatment of the existing stock of
unrepatriated earnings. The Ways and Means proposal would tax this
stock of earnings, but at a lower rate, and use the revenues to
offset losses from other parts of the plan, which would lead to a
long-run revenue loss. S. 2091 has a similar approach. The
Grubert-Mutti proposal does not have a specific transitional tax,
but would raise revenue largely due to its disallowance of parent
overhead expenses aimed at reducing profit shifting. The other two
proposals also contain provisions to address profit shifting. In
addition there are complicated issues in the design of a
territorial tax, such as how to treat branches and dividends of
firms in which the corporation is only partially owned. A number of
issues arise from the ending of foreign tax credits, with perhaps
the most significant one being the increased tax on royalties,
which are currently subject to tax, have low or no foreign taxes,
and would lose the shield of excess credits. The final section of
the report briefly discusses some alternative options, including
those in S.727 and in the Administration proposals. It also
discusses hybrid approaches that combine territorial and worldwide
systems in a more efficient way, including eliminating the
disincentive to repatriate. One such approach is a minimum tax on
foreign source income, which is proposed by the President in the
context of current rules, but could be combined with a territorial
system.
General
Imprint: |
Createspace Independent Publishing Platform
|
Country of origin: |
United States |
Release date: |
August 2012 |
First published: |
August 2012 |
Authors: |
Jane G. Gravelle
|
Dimensions: |
280 x 216 x 3mm (L x W x T) |
Format: |
Paperback - Trade
|
Pages: |
50 |
ISBN-13: |
978-1-4783-5559-5 |
Categories: |
Books >
Business & Economics >
Economics >
Political economy
Promotions
|
LSN: |
1-4783-5559-X |
Barcode: |
9781478355595 |
Is the information for this product incomplete, wrong or inappropriate?
Let us know about it.
Does this product have an incorrect or missing image?
Send us a new image.
Is this product missing categories?
Add more categories.
Review This Product
No reviews yet - be the first to create one!