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Atlanta Marriott Marquis, M101
Hosted By:
American Economic Association
the most advocated anti-tax-avoidance measures: Controlled Foreign Corporation rules. By including
income of foreign low-tax subsidiaries in the domestic tax base, these rules create incentives to move
income away from low-tax environments. Exploiting variation around the tax threshold used to
identify low-tax subsidiaries, we find that multinationals redirect profits into subsidiaries just above
the threshold and change incorporation patterns to place fewer subsidiaries below and more above the
threshold. Roughly half of the resulting increase in global tax revenue accrues to the rule-enforcing
country.
Firm Responses to International Taxation
Paper Session
Saturday, Jan. 5, 2019 8:00 AM - 10:00 AM
- Chair: Juan Carlos Suárez Serrato, Duke University and NBER
Taxing Multinationals Beyond Borders: Financial and Locational Responses to CFC Rules
Abstract
Using a large panel dataset on worldwide operations of multinational firms, this paper studies one ofthe most advocated anti-tax-avoidance measures: Controlled Foreign Corporation rules. By including
income of foreign low-tax subsidiaries in the domestic tax base, these rules create incentives to move
income away from low-tax environments. Exploiting variation around the tax threshold used to
identify low-tax subsidiaries, we find that multinationals redirect profits into subsidiaries just above
the threshold and change incorporation patterns to place fewer subsidiaries below and more above the
threshold. Roughly half of the resulting increase in global tax revenue accrues to the rule-enforcing
country.
Unintended Consequences of Eliminating Tax Havens
Abstract
Do tax havens reduce domestic economic activity? This paper explores the effects of unilateral efforts to combat profit shifting on domestic investment and employment. We develop a model of multinational investment that shows profit shifting generates tax complementarities between tax havens and high tax countries. We then analyze the effects of the repeal of Section 936 of the Internal Revenue code as a natural experiment that limited profit shifting activities for US multinationals with operations in Puerto Rico. Using data from the Annual Survey of Manufacturers, we show that industries that were more exposed to § 936 reduced investment in the US. We then use Compustat data to show exposed firms shifted investment to foreign affiliates. These investment responses had large effects on local labor markets. We create a measure of exposure to § 936 for each local labor market that exploits the establishment networks of US multinationals. We find that labor markets with a greater exposure experienced a decline in employment and income growth that persisted even after the phase-out of § 936. These results show that unilateral efforts to combat profit shifting may have large unintended consequences on domestic economic growth.International Transfer Pricing and Tax Avoidance: Evidence from Linked Trade-Tax Statistics in the UK
Abstract
This paper employs unique data on export transactions and corporate tax returns of UK multinational firms and finds that firms manipulate their transfer prices to shift profits to lower-taxed destinations. The 2009 tax reform in the UK that shifted the treatment of corporate profits from a worldwide to a territorial system, led to a substantial increase in transfer mispricing. We also provide evidence for a trade creation effect of transfer mispricing, find that transfer mispricing increases with a firm’s R&D intensity and estimate substantial transfer mispricing in countries that are not tax havens and have low-to-medium-level corporate tax rates.Discussant(s)
Clemens Fuest
,
Ifo Institute
Dhammika Dharmapala
,
University of Chicago
Michael Devereux
,
University of Oxford
Kimberly Clausing
,
Reed College
JEL Classifications
- H3 - Fiscal Policies and Behavior of Economic Agents
- F3 - International Finance