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Multinational corporations, stateless income and tax havens - ACCA PDF

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Multinational corporations, stateless income and tax havens About ACCA This report provides evidence to show that the corporate income tax system is not ‘broken’ and that the corporate income tax base is not being eroded. ACCA (the Association of Chartered Certified Accountants) is the global body for professional It offers a critique of the stateless accountants. We aim to offer business-relevant, first- income doctrine and the choice qualifications to people of application, ability and ambition around the world who seek a rewarding interaction between tax havens career in accountancy, finance and management. and multinational corporations. Founded in 1904, ACCA has consistently held unique core values: opportunity, diversity, innovation, integrity and accountability. We believe that accountants bring value to economies in all stages of development. We aim to develop capacity in the profession and encourage the adoption of consistent global standards. Our values are aligned to the needs of employers in all sectors and we ensure that, through our qualifications, we prepare accountants for business. We work to open up the profession to people of all backgrounds and remove artificial barriers to entry, ensuring that our qualifications and their delivery meet the diverse needs of trainee professionals and their employers. We support our 162,000 members and 428,000 students in 170 countries, helping them to develop successful careers in accounting and business, with the skills needed by employers. We work through a network of over 89 offices and centres and more than 8,500 Approved Employers worldwide, who provide high standards of employee learning and development. © The Association of Chartered Certified Accountants M24arch 2014 Multinational corporations, stateless income and tax havens Sinclair Davidson School of Economics, Finance and Marketing, RMIT University The Council of the Association of Chartered Certified Accountants consider this study to be a worthwhile contribution to discussion but do not necessarily share the views expressed, which are those of the author alone. No responsibility for loss occasioned to any person acting or refraining from acting as a result of any material in this publication can be accepted by the author or publisher. ABOUT THE AUTHOR Sinclair Davidson is professor in the School of Economics, Finance and Marketing at RMIT University in Melbourne Australia, and a senior fellow at the Institute of Public Affairs. Sinclair has published in academic journals such as the European Journal of Political Economy, Review of Political Economy, Journal of Economic Behavior and Organization, and the Cato Journal. Sinclair is also a regular contributor to Australian public debate. His opinion pieces have been published in The Age, The Australian, Australian Financial Review, Sydney Morning Herald, and Wall Street Journal Asia. ‘The decline in corporate-tax collection in recent decades has contributed to budget deficits. It has also aggravated income inequality: a company’s shareholders ultimately pay its taxes, and with a smaller tax bill, shareholders, who tend to be much more affluent than the average American, see their wealth increase. It’s clearly a broken system.’ MICHELLE HANLON, AN ACCOUNTING PROFESSOR, MIT ‘Corporate taxes burst into the spotlight last week, with the release of a Senate committee report on Apple’s tactics to reduce its tax payments. More quietly, but perhaps more significantly, the House Ways and Means Committee has begun work on a potential overhaul of the tax code. Edward D. Kleinbard, a tax expert and former Democratic Congressional aide, said he had been impressed so far by the seriousness of the committee’s work.’ DAVID LEONHARDT, ‘WHO WILL CRACK THE CODE?’, THE NEW YORK TIMES, 25 MAY 2013. 2 Contents 1. Introduction 5 2. The fiscal challenge 7 3. Corporate income tax and fiscal illusion 9 4. A critique of the stateless income doctrine 11 5. Stateless income and tax rents 13 6. Tax havens and multinational corporations 14 7. Is the corporate tax base being eroded? 17 8. Conclusion 19 References 20 3 4 1. Introduction It is commonly argued that the fundamental assumptions underlying secrecy laws or any of the so-called corporate income tax system is corporate income tax rules, which abusive practices that the OECD has ‘broken’. Twenty-five years of tax originated when economic activity had associated with the use of tax havens in competition have seen corporate ‘an unambiguous physical location’ and reducing corporate tax liability. These income tax rates reduced. The revenue so could be taxed in that location corporations are fully compliant with actually collected by corporate income (Australian Treasury 2013). Those the tax law in the jurisdictions in which tax, however, has not declined as much. assumptions of taxation have not been they operate. The latest theoretical argument changed since the advent of the digital suggesting that the corporate income economy – the physical location of SO WHY THE FUSS? tax base is likely to be eroded is the economic activity is simply not to the ‘stateless income doctrine’. This report liking of the UK or US governments. Most advanced economies have large is a critique of that doctrine. First, the Much of the activity that Apple, Google fiscal deficits and little prospect of doctrine ignores the value of and Starbucks undertake is not sourced returning their budgets to surplus. It is intellectual property. Second, it is not within the UK or US and hence is not quite clear that excessive expenditure is clear that the doctrine relates to the taxable in those jurisdictions. the basis for these fiscal deficits. One erosion of the corporate income tax possible solution to the fiscal base. Certainly there is no evidence to Recently, the Wall Street Journal (2013) challenges that these economies face is support the view that the corporate explained what was going on: to increase taxes. Increasing corporate income tax base is being eroded. At tax is a politically desirable policy given best, the concern about the tax base is ‘The Apple units are based in Ireland, the fiscal illusion that surrounds this not so much that it is being eroded, but so US law does not consider them to be form of taxation. First, there is a rather that multinational corporations US corporations subject to US widespread perception that large do not pay tax in every host economy. corporate tax. But since they are corporations pay very little corporate managed and controlled by Apple in income tax. Indeed the ‘scandals’ that Public outrage over the ‘low’ amounts the US, Irish law doesn’t consider them surround Apple, Google, and Starbucks of corporate income tax paid by Irish companies and thus they are also would appear to confirm that view. multibillion dollar corporations such as not subject to the 12.5% Irish corporate Secondly, it is not clear where the Apple, Google, and Starbucks has tax. This isn’t alchemy; it’s economic incidence of the corporate galvanised the UK and US governments accountancy… income tax falls. into action. T he British prime minister, David Cameron, has suggested that tax ‘None of this required a Senate The past 25 years or so have seen planning has become too aggressive. “investigation” to discover because substantial tax competition between The US Senate has a sub-committee Apple is constantly inspected by the IRS nations – this has resulted in a decline in investigating the amount of tax that and other tax authorities. These tax corporate income tax rates. The multinational corporations pay. collectors are well aware of Apple’s question is whether this has resulted in corporate structure, which has large declines in the revenue that has The difficulty facing both the UK and US remained essentially the same since been raised by this tax. Surprisingly, tax authorities is that there is little 1980. An Apple executive said Tuesday there is little evidence to support the evidence of any wrongdoing by any of that the company’s annual US tax return notion that tax competition has the three corporations that are regularly adds up to a stack of paperwork more reduced actual corporate income tax singled out for abuse. It is true that than two feet high. revenues. Nonetheless, that is the these corporations do not pay as much popular conception and the OECD and tax in the UK or the US as those ‘We wonder what the Irish think of the various European politicians have governments would like them to pay, spectacle of an American Senator advocated tax rate harmonisation but they pay as much tax as is required expressing outrage that an American among nations. by the laws that those governments company doesn’t pay enough Irish have passed. taxes.’ The latest theoretical argument to support the notion of tax rate The argument that we hear is that the It is important to note that these harmonisation is the so-called ‘stateless ‘digital economy’ has challenged the activities do not make use of bank income doctrine’ developed by 5 Professor Edward Kleinbard of the An implicit assumption of the stateless ‘stateless’ is small and the returns on a University of Southern California. Under income doctrine is that multinational harmonised global tax system would this theory, multinational corporations corporations maximise their value to also be small. There is no evidence to are able to generate income that is society only when they pay tax. Of support the hypothesis that the UK or apparently untaxed. The ‘double Irish course, this is not the case. the US corporate income tax base is Dutch sandwich’ tax strategy is a Multinational corporations provide being eroded. mechanism for generating such income. investment, create jobs, facilitate This doctrine ignores, or at least innovation transfers, provide goods and The next section will show that seriously undervalues, assets such as services, and also pay tax. As it is, ‘advanced economies’ face a fiscal intellectual property and trademarks. corporations do not pay only corporate challenge. This creates the context for a Consider, for example, the consumption income tax; they also pay payroll taxes, tax grab. Following that is an of a coffee from Starbucks. The local rates, and a host of other charges explanation of the concept of fiscal consumer is not simply consuming a and levies. The corporate income tax is illusion, and why corporate income tax coffee – an inexpensive, easily only one among many other taxes. To is the ideal candidate for increasing the manufactured, homogeneous product. judge the merit of a multinational tax burden as a partial means of Rather consumers are consuming an corporation only by the corporate resolving the fiscal challenge that experience where the coffee is only one income tax it pays is to ignore the real high-income economies face. There component of a branded product. economic value of these organisations. follows a critique of the stateless Drinking a Starbucks coffee is either a income doctrine and discussion of the form of conspicuous consumption or a The argument is that the corporate interaction between tax havens and reduction in information and search income tax base is being eroded by multinational corporations. Finally, this costs for consumers in a strange city aggressive tax planning by multinational report presents evidence that the who wish to consume a product of corporations – yet the evidence to corporate income tax base is not being known quality. The brand itself is the support this argument is lacking. It is eroded. value and, unsurprisingly, a royalty one thing to point out that multinational payment for the use of that brand is corporations do not pay tax in some A conclusion sums up the evidence paid to the owner of the brand. Again jurisdictions but that says nothing about presented. unsurprisingly, the owner of that brand the actual corporate income tax base. locates the brand in the legal To the extent that corporate income tax jurisdiction where its value is revenues have fallen in recent years, this maximised. is more likely to be a result of poor economic conditions than aggressive There is no such thing as ‘stateless tax planning. income’, rather there is income that the governments of the UK and the US do This report provides evidence to show not tax because under their own legal that the corporate income tax system is systems that income is not sourced in not ‘broken’ as some suggest. So-called their economy. When these ‘stateless income’ is a return on governments complain about stateless intellectual property and the idea that income, the question rather should be, there is such a thing depends on its ‘Why do the owners of intellectual proponents’ disregard of intellectual property not locate their property in property. The amount of actual income your economy?’. that could be described as being 6 2. The fiscal challenge The so-called ‘advanced economies’ of Figure 2.1: The fiscal challenge faced by advanced economies the world face a fiscal crisis. Since the start of the 21st century these 50 economies have, on average, 48 experienced budget deficits where 46 government expenditure has massively outstripped government revenue. This 44 budgetary behaviour preceded the 42 2008 financial crisis and the IMF 40 forecasts that it will continue until at least 2018 (Figure 2.1). 38 36 This fiscal challenge becomes even 34 more apparent when we consider the euro area. While the pattern of deficits 32 is similar to that of the advanced 30 economies overall, the quantum of emxupcehn hdiigtuhreer a(Fnidg utarex a2t.i2o)n. has been 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 For all the talk of ‘austerity’ the fact General government revenue General government total expenditure remains that the IMF does not foresee that government expenditure will return Source: International Monetary Fund (2013). to pre-2008 levels by 2018. At the same time, however, the IMF indicates that government revenue figures have Figure 2.2: The fiscal challenge faced by the euro area already returned to pre-2008 levels. 52 50 48 46 44 42 40 38 36 34 32 30 0 1 2 3 4 5 6 7 8 9 0 1 2 3 4 5 6 7 8 200 200 200 200 200 200 200 200 200 200 201 201 201 201 201 201 201 201 201 General government revenue General government total expenditure Source: International Monetary Fund (2013). 7 This very simple analysis suggests that, Democratic societies have a tendency in general, lax expenditure discipline is to run budget deficits through the primary driver behind the fiscal excessive expenditure and this was the challenges that these economies face. case even before the 2008 financial This is unsurprising. As James crisis. At the same time, however, Buchanan, the 1986 Nobel Laureate, government cannot be too brazen in its and Richard Wagner explained in their management of the budget and as such 1977 book Democracy in Deficit: The also engages in a political strategy Political Legacy of Lord Keynes (1977: known as ‘fiscal illusion’. 105–6): Fiscal illusion occurs when government ‘Democratic societies will tend to resort attempts to distort citizens’ fiscal to an excessive use of debt finance consciousness about the nature and when they have permitted Keynesianism scope of government expenditure or to revise their fiscal constitutions.…The the burden of taxation. The objective post-Keynesian record in fiscal policy is here is to obscure the real cost of public not difficult to understand. The removal goods and services (Buchanan 1967: of the balanced-budget principle or 125–42). The debate surrounding constitutional rule generated an corporate tax, multinational asymmetry in the conduct of budgetary corporations and the role of tax havens policy in competitive democracy. is particularly prone to issues of fiscal Deficits will be created, but to a greater illusion. extent than justified by the Keynesian principles; surpluses will sometimes result, but they will result less frequently than required by the strict Keynesian prescriptions. ‘ 8

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income doctrine and the interaction between tax havens and multinational corporations. ACCA (the Association of Chartered Certified. Accountants) is the global
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