Impact of Thin Capitalization Rules on Tax Revenue in an Emerging Economy. Case Study

Impact of Thin Capitalization Rules on Tax Revenue in an Emerging Economy. Case Study PDF Author: Omolara Okesola
Publisher:
ISBN:
Category :
Languages : en
Pages : 20

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Book Description
Dwindling oil revenue in Nigeria has necessitated the need to generate more government revenue through other sources. A potential area to generate more government revenue is through taxes on corporate profits. However, the prospects of generating more tax revenues have been perceived internationally to be weakened by aggressive corporate tax planning amongst multinational companies especially through internal debt shifting from jurisdictions with lower tax rates to jurisdictions with higher tax rates for the overall reduction in group tax liabilities. The capital structure of an organization determines the level of interest expense deductions from taxable income. That is, a highly leveraged company would be able to deduct more interest expenses on debt compared to a lower leveraged company. As a result of this tax loophole explored by multinational companies, most countries have introduced thin capitalization rules to reduce base erosion and profit shifting. Currently, Nigeria has no thin capitalization rules in effect, there are many benefits from thin capitalization rules from regulatory perspective. This paper seeks to examine the effects of thin capitalization rules on tax revenue by using the Latvian economy as a case study. Latvia is an emerging economy and it is has implemented thin capitalization since 2003. Data on taxes on corporate profits, gross fixed capital formation annual percentage growth, short- term interest rates on loan in the Euro Area (EA) and adjusted net national income percentage growth for the period of 2000 to 2016 were obtained from the Organization for Economic Co- operation and Development (OECD) and the World Bank database. This paper applied the multiple regression model. The results show that the dummy variable for thin capitalization policy is statistically insignificant to tax revenue in Latvia, however short-term interest rate on loans in the EA has a significant impact on tax revenue in Latvia.

Impact of Thin Capitalization Rules on Tax Revenue in an Emerging Economy. Case Study

Impact of Thin Capitalization Rules on Tax Revenue in an Emerging Economy. Case Study PDF Author: Omolara Okesola
Publisher:
ISBN:
Category :
Languages : en
Pages : 20

Get Book Here

Book Description
Dwindling oil revenue in Nigeria has necessitated the need to generate more government revenue through other sources. A potential area to generate more government revenue is through taxes on corporate profits. However, the prospects of generating more tax revenues have been perceived internationally to be weakened by aggressive corporate tax planning amongst multinational companies especially through internal debt shifting from jurisdictions with lower tax rates to jurisdictions with higher tax rates for the overall reduction in group tax liabilities. The capital structure of an organization determines the level of interest expense deductions from taxable income. That is, a highly leveraged company would be able to deduct more interest expenses on debt compared to a lower leveraged company. As a result of this tax loophole explored by multinational companies, most countries have introduced thin capitalization rules to reduce base erosion and profit shifting. Currently, Nigeria has no thin capitalization rules in effect, there are many benefits from thin capitalization rules from regulatory perspective. This paper seeks to examine the effects of thin capitalization rules on tax revenue by using the Latvian economy as a case study. Latvia is an emerging economy and it is has implemented thin capitalization since 2003. Data on taxes on corporate profits, gross fixed capital formation annual percentage growth, short- term interest rates on loan in the Euro Area (EA) and adjusted net national income percentage growth for the period of 2000 to 2016 were obtained from the Organization for Economic Co- operation and Development (OECD) and the World Bank database. This paper applied the multiple regression model. The results show that the dummy variable for thin capitalization policy is statistically insignificant to tax revenue in Latvia, however short-term interest rate on loans in the EA has a significant impact on tax revenue in Latvia.

At A Cost: The Real Effects of Thin Capitalization Rules

At A Cost: The Real Effects of Thin Capitalization Rules PDF Author: Ruud A. de Mooij
Publisher: International Monetary Fund
ISBN: 1513568558
Category : Business & Economics
Languages : en
Pages : 17

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Book Description
Thin capitalization rules (TCRs) aim to mitigate profit shifting by multinational corporations (MNCs) but, by raising the cost of capital for affected affiliates, can also negatively affect real investment. Exploiting unique panel data on multinational companies in 34 countries during 2006-2014, we estimate that the size of this adverse investment effect can be large, and dependent on the statutory corporate tax rate and the tightness of the safe-haven ratio. Negative investment effects are more pronounced for highly-levered firms for which TCRs are more likely to be binding.

Tax Policy, Leverage and Macroeconomic Stability

Tax Policy, Leverage and Macroeconomic Stability PDF Author: International Monetary Fund. Fiscal Affairs Dept.
Publisher: International Monetary Fund
ISBN: 1498345204
Category : Business & Economics
Languages : en
Pages : 78

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Book Description
Risks to macroeconomic stability posed by excessive private leverage are significantly amplified by tax distortions. ‘Debt bias’ (tax provisions favoring finance by debt rather than equity) has increased leverage in both the household and corporate sectors, and is now widely recognized as a significant macroeconomic concern. This paper presents new evidence of the extent of debt bias, including estimates for banks and non-bank financial institutions both before and after the global financial crisis. It presents policy options to alleviate debt bias, and assesses their effectiveness. The paper finds that thin capitalization rules restricting interest deductibility have only partially been able to address debt bias, but that an allowance for corporate equity has generally proved effective. The paper concludes that debt bias should feature prominently in countries’ tax reform plans in the coming years.

A Firm Lower Bound: Characteristics and Impact of Corporate Minimum Taxation

A Firm Lower Bound: Characteristics and Impact of Corporate Minimum Taxation PDF Author: Aqib Aslam
Publisher: International Monetary Fund
ISBN: 1513561073
Category : Business & Economics
Languages : en
Pages : 50

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Book Description
This paper examines the role of minimum taxes and attempts to quantify their impact on economic activity. Minimum taxes can be effective at shoring up the corporate tax base and enhancing the perceived equity of the tax system, potentially motivating broader taxpayer compliance. Where political and administrative constraints prevent reforms to the standard corporate income tax, a minimum tax can help mitigate base erosion from excessive tax incentives and avoidance. Using a new panel dataset that catalogues changes in minimum tax regimes over time around the world, firm-level analysis suggests that the introduction or reform of a minimum tax is associated with an increase in the average effective tax rate of just over 1.5 percentage points with respect to turnover and of around 10 percent with respect to operating income. Minimum taxes based on modified corporate income lead to the largest increases in effective tax rates, followed by those based on assets and turnover.

International Double Taxation of Interest

International Double Taxation of Interest PDF Author: Sandra Martinho Fernandes
Publisher:
ISBN: 9789087225476
Category : Double taxation
Languages : en
Pages : 437

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Book Description


Capital Structure and International Debt Shifting

Capital Structure and International Debt Shifting PDF Author: Mr. Luc Laeven
Publisher: International Monetary Fund
ISBN: 1451910568
Category : Business & Economics
Languages : en
Pages : 40

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Book Description
This paper presents a model of a multinational firm''s optimal debt policy that incorporates international taxation factors. The model yields the prediction that a multinational firm''s indebtedness in a country depends on a weighted average of national tax rates and differences between national and foreign tax rates. These differences matter because multinationals have an incentive to shift debt to high-tax countries. The predictions of the model are tested using a novel firm-level dataset for European multinationals and their subsidiaries, combined with newly collected data on the international tax treatment of dividend and interest streams. Our empirical results show that corporate debt policy indeed not only reflects domestic corporate tax rates but also differences in international tax systems. These findings contribute to our understanding of how corporate debt policy is set in an international context.

Revenue Mobilization in Developing Countries

Revenue Mobilization in Developing Countries PDF Author: International Monetary Fund. Fiscal Affairs Dept.
Publisher: International Monetary Fund
ISBN: 1498339247
Category : Business & Economics
Languages : en
Pages : 86

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Book Description
The Fund has long played a lead role in supporting developing countries’ efforts to improve their revenue mobilization. This paper draws on that experience to review issues and good practice, and to assess prospects in this key area.

Action Plan on Base Erosion and Profit Shifting

Action Plan on Base Erosion and Profit Shifting PDF Author: OECD
Publisher: OECD Publishing
ISBN: 9264202714
Category :
Languages : en
Pages : 44

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Book Description
This action plan, created in response to a request by the G20, identifies a set of domestic and international actions to address the problems of base erosion and profit sharing.

Curbing Corporate Debt Bias

Curbing Corporate Debt Bias PDF Author: Ruud A. de Mooij
Publisher: International Monetary Fund
ISBN: 1475578296
Category : Business & Economics
Languages : en
Pages : 20

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Book Description
Tax provisions favoring corporate debt over equity finance (“debt bias”) are widely recognized as a risk to financial stability. This paper explores whether and how thin-capitalization rules, which restrict interest deductibility beyond a certain amount, affect corporate debt ratios and mitigate financial stability risk. We find that rules targeted at related party borrowing (the majority of today’s rules) have no significant impact on debt bias—which relates to third-party borrowing. Also, these rules have no effect on broader indicators of firm financial distress. Rules applying to all debt, in contrast, turn out to be effective: the presence of such a rule reduces the debt-asset ratio in an average company by 5 percentage points; and they reduce the probability for a firm to be in financial distress by 5 percent. Debt ratios are found to be more responsive to thin capitalization rules in industries characterized by a high share of tangible assets.

A Destination-Based Allowance for Corporate Equity

A Destination-Based Allowance for Corporate Equity PDF Author: Shafik Hebous
Publisher: International Monetary Fund
ISBN: 1484381904
Category : Business & Economics
Languages : en
Pages : 26

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Book Description
Following renewed academic and policy interest in the destination-based principle for taxing profits—particularly through a destination-based cash flow tax (DBCFT)—this paper studies other forms of efficient destination-based taxes. Specifically, it analyzes the Destination-Based Allowance for Corporate Equity (DBACE) and Allowance for Corporate Capital (DBACC). It describes adjustments that are required to turn an origin into a destination-based versions of these taxes. These include adjustments to capital and equity, which are additional to the border adjustments needed under a DBCFT. The paper finds that the DBACC and DBACE reduce profit shifting and tax competition, but cannot fully eliminate them, with the DBACE more sensitve than the DBACC. Overall, given the potential major political cost of switching from an origin to a destination-based tax system, we conclude that advantages of the DBCFT are likely to outweigh the transitional advantages of the DBACE/DBACC.