FEN: Differences in Taxation & Corporate Finance (Topic)最新文献

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Vermögensteuer und ihre Implikationen für den Wirtschaftsstandort Deutschland - eine betriebswirtschaftliche Analyse (Wealth Tax and its Implications for Germany as a Location for Business - An Economic Analysis) 物业税及其对德国经济的参考——一份企业经济学分析:德国企业经济学分析
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2015-10-06 DOI: 10.2139/SSRN.2548398
T. Hoppe, R. Maiterth, Caren Sureth-Sloane
{"title":"Vermögensteuer und ihre Implikationen für den Wirtschaftsstandort Deutschland - eine betriebswirtschaftliche Analyse (Wealth Tax and its Implications for Germany as a Location for Business - An Economic Analysis)","authors":"T. Hoppe, R. Maiterth, Caren Sureth-Sloane","doi":"10.2139/SSRN.2548398","DOIUrl":"https://doi.org/10.2139/SSRN.2548398","url":null,"abstract":"German Abstract: Die (Wieder-)Einfuhrung einer Vermogensteuer ist in den vergangenen Jahren erneut in den Fokus der politischen Diskussion geruckt. Der vorliegende Beitrag vermittelt einen Eindruck von den Belastungswirkungen, die aus der Umsetzung von aktuell vorliegenden Besteuerungskonzepten resultieren wurden. Auf der Basis von realen Jahresabschlussdaten wird eine mehrperiodige Veranlagungssimulation durchgefuhrt, die insbesondere ermoglicht, den zu erwartenden Eigenkapitalverzehr sowie den Anstieg der Steuerbelastung fur die betrachtete Unternehmensgruppe zu quantifizieren. Von besonderem Interesse sind hierbei Unternehmen deren laufende Ertrage nicht ausreichen, um die Belastungen durch die Vermogensteuer zu tragen und damit einem Substanzverzehr ausgesetzt sind. Es zeigt sich, dass etwa die Halfte der Unternehmen im Untersuchungszeitraum von sechs Jahren in mindestens einem Jahr einen Substanzverzehr erfahrt. Der Vermogensteuer kommt somit keinesfalls der vielfach postulierte Charakter einer eher masig belastenden und im Wesentlichen substanzverschonenden Steuer zu. Zusatzbelastungen von knapp 100 bis zu 300% der Ertragsteuerlast sind keine Seltenheit und veranschaulichen das Gefahrdungspotenzial dieser Steuer fur den Wirtschaftsstandort Deutschland.English Abstract: The (re-)introduction of a wealth tax has become a focal point of interest as a result of last years’ political discussions. We analyze the impact of implementing currently discussed wealth tax concepts on the overall tax burden and companies’ equity. Simulating a tax assessment based on real annual financial statement data from German listed firms in a multi-period setting, we quantify the expected equity erosion as well as the increase in tax burden of these companies that is induced by wealth taxation at the corporate and shareholder level. Special attention is given to companies whose current yield is very low and thus have to take additional loans or liquidate assets to settle their wealth tax bill. Our findings indicate that about half of the companies suffer at least in one year from wealth tax-induced asset erosion within the six-year period under review. In contrast to the usually postulated moderate effects of a wealth tax on firms, our results indicate that the additional burden arising from wealth taxation can range from nearly 100% to 300% of the profit tax burden, highlighting the magnitude of the risk from wealth taxation for Germany as a location for business.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2015-10-06","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"114634303","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 1
Beyond Territorial and Worldwide Systems of International Taxation 超越地域和国际税收制度
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2015-02-20 DOI: 10.2139/ssrn.2567952
K. Clausing
{"title":"Beyond Territorial and Worldwide Systems of International Taxation","authors":"K. Clausing","doi":"10.2139/ssrn.2567952","DOIUrl":"https://doi.org/10.2139/ssrn.2567952","url":null,"abstract":"The dialogue regarding the international taxation of multinational firms should move beyond the rhetoric of comparing supposedly territorial and worldwide systems of taxation. Among major countries, there are no pure territorial or pure worldwide systems, just systems that lie on a spectrum between these extremes. Once one recognizes the characteristics that determine where on the spectrum particular countries lie, it is far from clear that purportedly worldwide countries are further to the “pure worldwide” end of the spectrum than are many purportedly territorial countries. Still, along the spectrum, tradeoffs between “competitiveness” and efficient capital allocation (with attendant effects on the home country tax base) are inevitable. Thus, I describe international tax system design proposals that might transcend this tradeoff, examining several such options. Finally, I discuss the current efforts of the BEPS process.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2015-02-20","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"130135749","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 8
Should Exchanges Allow Larger and More Discounted Placements? An Analysis of Changes to ASX Listing Rules 交易所应该允许更大、更优惠的配售吗?澳大利亚证券交易所上市规则变更分析
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2014-10-07 DOI: 10.2139/SSRN.2443201
M. Humphery‐Jenner, Jo‐Ann Suchard
{"title":"Should Exchanges Allow Larger and More Discounted Placements? An Analysis of Changes to ASX Listing Rules","authors":"M. Humphery‐Jenner, Jo‐Ann Suchard","doi":"10.2139/SSRN.2443201","DOIUrl":"https://doi.org/10.2139/SSRN.2443201","url":null,"abstract":"This paper analyzes the desirability of relaxing constraints on non-pro-rata share issuances and examines amendments to Australian listing rules that have done so. The Australian Stock Exchange (ASX) recently amended its listing rules to allow small-cap companies to issue up to 25% of their share capital at a discount of up to 25% (up from 15% issue at a 15% discount), if the company satisfies certain requirements (including approval of a supermajority of shareholders). The new changes have the potential to distort the shareholder-register. Further, if the equity issue is made to an existing blockholder (or blockholders), the super-majority requirement for the issue to take-place may only require a minority of non-blockholder-shareholders to agree. However, existing directors’ duties and shareholder remedies should be sufficient to protect shareholders from abuse of the new rules. Thus, they could provide additional flexibility to firms who may require significant capital-injections in order to undertake major investments or raise capital to stave-off financial distress.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2014-10-07","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"133445381","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 0
When is a Dollar Not Worth a Dollar? The 'Trapped' Cash Controversy 什么时候一美元不值一美元?“被困”的现金争议
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2013-12-01 DOI: 10.2139/SSRN.2362078
Russell P. Engel, Bridget M. Lyons
{"title":"When is a Dollar Not Worth a Dollar? The 'Trapped' Cash Controversy","authors":"Russell P. Engel, Bridget M. Lyons","doi":"10.2139/SSRN.2362078","DOIUrl":"https://doi.org/10.2139/SSRN.2362078","url":null,"abstract":"During 2013 the concept of \"trapped cash\" garnered heightened attention as reports of Dell, Apple and other firms holding massive cash levels outside the US surfaced. So called \"trapped cash\" refers to cash and liquid investments held by subsidiaries located outside the United States. Firms with overseas subsidiaries located in jurisdictions where the tax rate is lower than the rates in the US can reduce taxes by attributing profits to foreign locales. But bringing the cash back to the US subjects the funds to the US corporate tax rate, less credit for foreign income taxes paid. The House Ways and Means Committee held hearings in June 2013 to examine corporate profit shifting by multinationals. This followed hearings held by The Senate Permanent Subcommittee on Investigations in May 2013 which focused on tax strategies at Apple and earlier hearings in September 2012 which focused on Microsoft and Hewlett Packard. Some have accused global firms of acting to avoid taxes leading to perhaps several billions of dollars of lost tax revenues. Others note that the real culprit is a US tax code with the highest corporate tax rates in the developed world. As the debate has raged, the Internal Revenue Service has sought to prohibit strategies related to intangible assets that the IRS claims firms have exploited to repatriate profits without tax implications. While the topic impacts all firms with liquid investments held outside of the US, this issue has been particularly important recently in the technology sector since over the past few years tech firms have amassed high cash levels from overseas operations as earnings strengthened and shrinking growth rates provided fewer investment opportunities.Here we use the technology sector as a case study to: examine the magnitude of the issue, consider firm options for \"trapped\" cash and assess the valuation investors should place on trapped cash.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2013-12-01","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"130320028","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 1
The Relationship between Legal Status, Location, and Business Tax Preference: The Case of Kansas 法律地位、地理位置与营业税优惠的关系:以堪萨斯州为例
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2012-09-20 DOI: 10.2139/ssrn.2805207
Zachary Mohr
{"title":"The Relationship between Legal Status, Location, and Business Tax Preference: The Case of Kansas","authors":"Zachary Mohr","doi":"10.2139/ssrn.2805207","DOIUrl":"https://doi.org/10.2139/ssrn.2805207","url":null,"abstract":"The literature on business responses to state taxes traditionally holds businesses respond to tax differences through plant relocation and expansion planning. This literature is silent on the tradeoffs that businesses would make to a state’s tax policy, if they could adjust the taxes to suit their own preferences and legal status. This research addresses the question of what tradeoffs businesses would make in tax policy by utilizing the budgetary tradeoff methodology developed in the political science and political economy literature. As predicted by theory, firms responded to a survey by the Kansas Department of Commerce that they would minimize the taxes that they have to pay but differences exist among different types of businesses, particularly out of state businesses. Kansas is an interesting case given the state’s first-of-its-kind removal of taxes on pass through corporations. This case shows that the tax tradeoff theory is useful for analyzing the characteristics of firms’ tradeoff choices.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2012-09-20","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"121717218","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 0
Multinational Capital Structure and Tax Competition 跨国资本结构与税收竞争
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 2010-04-01 DOI: 10.2139/ssrn.1601188
M. Wrede
{"title":"Multinational Capital Structure and Tax Competition","authors":"M. Wrede","doi":"10.2139/ssrn.1601188","DOIUrl":"https://doi.org/10.2139/ssrn.1601188","url":null,"abstract":"This paper analyzes tax competition when welfare maximizing jurisdictions levy source-based corporate taxes and multinational enterprises choose tax-efficient capital-to-debt ratios. Under separate accounting, multinationals shift debt from low-tax to high-tax countries. The Nash equilibrium of the tax competition game is characterized by underprovision of publicly provided goods. Under formula apportionment, the country-specific capital-to-debt ratio of a multinational’s affiliate is independent of the jurisdiction’s tax rate. Public good provision is either too large or too small. If the debt externality is not negative, there is clearly underprovision under formula apportionment.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"2010-04-01","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"127647634","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 54
Hybrid Instruments and the Debt-Equity Distinction in Corporate Taxation 混合工具与企业税中的债务-股权区分
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 1985-01-01 DOI: 10.2307/1599573
A. Emmerich
{"title":"Hybrid Instruments and the Debt-Equity Distinction in Corporate Taxation","authors":"A. Emmerich","doi":"10.2307/1599573","DOIUrl":"https://doi.org/10.2307/1599573","url":null,"abstract":"Debt and equity are treated differently for many purposes in federal tax law. The most important difference is that payments made on debt may be deducted in computing a corporation's taxable income, while payments made on equity may not. Although this distinction is well-settled, it has little theoretical basis and is not clearly drawn in the tax law. As a result, there has for a long time been confusion over how to classify, for tax purposes, instruments that do not closely resemble \"ordinary\" debt or \"ordinary\" equity.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"1985-01-01","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"114612571","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 10
Formula Apportionment or Separate Accounting? Tax-Induced Distortions of Multinationals' Locational Investment Decisions 公式分摊还是单独核算?跨国公司区位投资决策的税收扭曲
FEN: Differences in Taxation & Corporate Finance (Topic) Pub Date : 1900-01-01 DOI: 10.2139/ssrn.2688090
R. Ortmann, Erich Pummerer
{"title":"Formula Apportionment or Separate Accounting? Tax-Induced Distortions of Multinationals' Locational Investment Decisions","authors":"R. Ortmann, Erich Pummerer","doi":"10.2139/ssrn.2688090","DOIUrl":"https://doi.org/10.2139/ssrn.2688090","url":null,"abstract":"We examine which tax allocation system leads to more severe distortions with respect to locational investment decisions. We consider separate accounting (SA) and formula apportionment (FA). The effects of both systems have been hotly debated in Europe in the past years. The reason is that the EU Member States are striving to implement a common European tax system that would lead to a switch from SA to FA. While existing studies focus primarily on the impact of taxes on locational decisions under either SA or FA, the main innovation of this paper is that it compares both systems with regard to the level of distortions they induce. We compare the optimal pre-tax investment decision with the optimal after-tax investment decision and infer from the difference in the allocation of investment funds which tax allocation system causes more severe distortions. We assume that the multinational group (MNG) has comprehensive book income shifting opportunities under SA. We find that the investment incentives under SA are opposed to those under FA for a profitable investment project. Whereas under SA as much as possible should be invested in a high-tax country, under FA as much as possible should be invested in a low-tax country. The distortions of locational investment decisions tend to be more severe under SA than under FA if a greater share of investment funds is to be invested in a low-tax country from a pre-tax perspective and the investment is profitable. Vice versa, locational decisions may be more distorted under FA if the optimal pre-tax investment decision requires investing a major share of funds in the high-tax country. In contrast to the often stated insensitivity of FA towards income shifting, we find the introduction of a tax allocation system based on FA in Europe could lead to a severe shift of economic substance to low-tax countries. The results of this paper are of particular interest for European policy makers and MNGs as our findings may induce European MNGs to reassess their recent locational investment decisions in the face of a potential future change in the applied tax allocation system.","PeriodicalId":385233,"journal":{"name":"FEN: Differences in Taxation & Corporate Finance (Topic)","volume":null,"pages":null},"PeriodicalIF":0.0,"publicationDate":"1900-01-01","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":null,"resultStr":null,"platform":"Semanticscholar","paperid":"126730585","PeriodicalName":null,"FirstCategoryId":null,"ListUrlMain":null,"RegionNum":0,"RegionCategory":"","ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":"","EPubDate":null,"PubModel":null,"JCR":null,"JCRName":null,"Score":null,"Total":0}
引用次数: 3
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