The Trojan Horse of Corporate Integration

Edward D. Kleinbard
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引用次数: 1

Abstract

The U.S. Senate Finance Committee has invested significant resources, including hearings and staff reports, to make the case for an unusual form of corporate dividend integration – a corporate dividends-paid deduction, combined with a universal shareholder dividend withholding tax collected from the firm. This proposal would not reduce the cash tax outlays of U.S. corporations in respect of distributed or retained earnings. It would not reduce the aggregate tax burdens imposed on most shareholders, and in many plausible circumstances would raise those tax costs. It is a poorly targeted response to design weaknesses in the U.S. international corporate tax system. Its efficiency gains are undeveloped and largely overstated.This unusual form of dividend integration is really designed to offer U.S. firms a quick and dirty form of costless corporate tax reform, in which their financial accounting effective tax rate decreases, but for entirely artificial reasons. It also would offer U.S. multinational firms the ability to repatriate their permanently reinvested earnings held in foreign subsidiaries and redistribute those sums to shareholders without a nominal corporate income tax charge for financial accounting purposes, but at the cost to shareholders of raising their all-in burdens beyond what could be expected in broad-scale corporate tax reform.The dividends-paid form of dividend integration has been wheeled forward in the manner of a true Trojan horse, seemingly offering a free gift of the end of double taxation, but all the while containing in its belly the agenda of U.S. multinationals desperate to record lower effective tax rates for financial statement purposes, and to escape from under the mountain of offshore earnings that are the result of their own aggressive stateless income gaming.
企业整合的特洛伊木马
美国参议院财政委员会(Senate Finance Committee)投入了大量资源,包括听证会和工作人员报告,以证明一种不同寻常的公司股息整合形式的合理性,即扣除公司已支付的股息,同时向公司征收普遍的股东股息预扣税。该提案不会减少美国公司在分配收益或留存收益方面的现金税支出。它不会减轻大多数股东的总税负,而且在许多看似合理的情况下,还会提高这些税收成本。这是针对美国国际公司税体系设计缺陷的一种缺乏针对性的回应。它的效率提升尚未得到充分开发,而且在很大程度上被夸大了。这种不寻常的股息整合形式实际上是为了给美国公司提供一种快速而肮脏的无成本公司税改革形式,其中他们的财务会计有效税率降低,但完全是人为的原因。它还将使美国跨国公司有能力将其在外国子公司持有的永久性再投资收益汇回国内,并将这些收益重新分配给股东,而不会因财务会计目的而收取名义上的公司所得税,但股东的代价是,他们的全部负担将超出大规模公司税改革所能预期的水平。股息支付形式的股息整合已经以一种真正的特洛伊木马的方式向前推进,看似提供了结束双重征税的免费礼物,但一直在其腹中包含着美国跨国公司的议程,这些跨国公司迫切希望为财务报表目的记录更低的有效税率,并逃离他们自己激进的无国籍收入游戏所导致的离岸收益如山。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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