The (Uncertain) Future of Corporate Tax Shelters

The (Uncertain) Future of Corporate Tax Shelters PDF Author: Joshua D. Blank
Publisher:
ISBN:
Category :
Languages : en
Pages : 0

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Book Description
Corporations and their shareholders have always sought opportunities to avoid entity- and shareholder-level tax liabilities under the U.S. corporate tax system. In response to the tax shelter boom of the late 1990s, Congress adopted what can be described as an “activity-based” approach to corporate tax enforcement. The reportable transaction disclosure rules target specific corporate activities and transactions that may be abusive. Because corporate tax shelters are often difficult for the IRS to detect, US tax law mandates that taxpayers and their advisors disclose to the IRS instances in which they have participated in transactions that bear tax shelter traits. Every year, thousands of US taxpayers and their advisors mail special disclosure forms that may reveal potentially abusive tax strategies, including “listed transactions” and “transactions of interest,” to the IRS Office of Tax Shelter Analysis.Despite their potential tax enforcement benefits, the reportable transaction disclosure regime faces an uncertain future. Even though taxpayers and advisors must disclose potential tax shelters to the IRS using special forms, it is unclear whether the IRS has the resources necessary to review these disclosures and pursue audits and potential tax controversies. The IRS has also significantly curtailed its designation of tax strategies as listed transactions and transactions of interest. And in 2021, the US Supreme Court held that taxpayers and their advisors may seek pre-enforcement actions against the IRS's notices that designate tax strategies as reportable transactions without violating the Anti-Injunction Act.In this chapter, we introduce a new approach to tax enforcement against corporate tax shelters in the United States. We argue that the reportable transaction rules face significant limitations as the government's primary response to abusive corporate tax shelters today. As we argue, these rules are reactive in that they often apply to emerging tax avoidance schemes rather than as a means of preempting abusive corporate tax planning. In addition, these rules may fail to deliver information that the IRS can use to detect corporate tax abuse, including due to manipulation of the disclosed information by the taxpayer. Finally, the IRS is likely to face litigation hurdles in designating “listed transactions” and “transactions of interest” through preemptive taxpayer challenges under the Administrative Procedure Act. In response, we propose three policy reforms that would mandate preemptive disclosure of broader categories of information related to tax planning from corporate taxpayers, in addition to the specific information that the reportable transaction rules currently target.

The (Uncertain) Future of Corporate Tax Shelters

The (Uncertain) Future of Corporate Tax Shelters PDF Author: Joshua D. Blank
Publisher:
ISBN:
Category :
Languages : en
Pages : 0

Get Book Here

Book Description
Corporations and their shareholders have always sought opportunities to avoid entity- and shareholder-level tax liabilities under the U.S. corporate tax system. In response to the tax shelter boom of the late 1990s, Congress adopted what can be described as an “activity-based” approach to corporate tax enforcement. The reportable transaction disclosure rules target specific corporate activities and transactions that may be abusive. Because corporate tax shelters are often difficult for the IRS to detect, US tax law mandates that taxpayers and their advisors disclose to the IRS instances in which they have participated in transactions that bear tax shelter traits. Every year, thousands of US taxpayers and their advisors mail special disclosure forms that may reveal potentially abusive tax strategies, including “listed transactions” and “transactions of interest,” to the IRS Office of Tax Shelter Analysis.Despite their potential tax enforcement benefits, the reportable transaction disclosure regime faces an uncertain future. Even though taxpayers and advisors must disclose potential tax shelters to the IRS using special forms, it is unclear whether the IRS has the resources necessary to review these disclosures and pursue audits and potential tax controversies. The IRS has also significantly curtailed its designation of tax strategies as listed transactions and transactions of interest. And in 2021, the US Supreme Court held that taxpayers and their advisors may seek pre-enforcement actions against the IRS's notices that designate tax strategies as reportable transactions without violating the Anti-Injunction Act.In this chapter, we introduce a new approach to tax enforcement against corporate tax shelters in the United States. We argue that the reportable transaction rules face significant limitations as the government's primary response to abusive corporate tax shelters today. As we argue, these rules are reactive in that they often apply to emerging tax avoidance schemes rather than as a means of preempting abusive corporate tax planning. In addition, these rules may fail to deliver information that the IRS can use to detect corporate tax abuse, including due to manipulation of the disclosed information by the taxpayer. Finally, the IRS is likely to face litigation hurdles in designating “listed transactions” and “transactions of interest” through preemptive taxpayer challenges under the Administrative Procedure Act. In response, we propose three policy reforms that would mandate preemptive disclosure of broader categories of information related to tax planning from corporate taxpayers, in addition to the specific information that the reportable transaction rules currently target.

Research Handbook on Corporate Taxation

Research Handbook on Corporate Taxation PDF Author: Reuven S. Avi-Yonah
Publisher: Edward Elgar Publishing
ISBN: 1803923113
Category : Law
Languages : en
Pages : 475

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Book Description
Encapsulating the multitude of challenges faced by the international corporate tax regime, this timely Research Handbook provides an in-depth comparative legal analysis of corporate income tax as it is practiced across the world. With a variety of paths to reform proposed throughout, it will prove an invigorating read for tax scholars working on taxation and tax law as well as for tax practitioners and those in fiscal policy seeking ways to improve, or navigate, the current state of affairs in international corporate tax law.

Confidence Games

Confidence Games PDF Author: Tanina Rostain
Publisher: MIT Press
ISBN: 0262027135
Category : Business & Economics
Languages : en
Pages : 421

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Book Description
The rise and fall of a tax shelter industry that enabled some of America's richest citizens to avoid paying their fair share of taxes. For ten boom-powered years at the turn of the twenty-first century, some of America's most prominent law and accounting firms created and marketed products that enabled the very rich—including newly minted dot-com millionaires—to avoid paying their fair share of taxes by claiming benefits not recognized by law. These abusive domestic tax shelters bore such exotic names as BOSS, BLIPS, and COBRA and were developed by such prestigious firms as KPMG and Ernst & Young. They brought in hundreds of millions of dollars in fees from clients and bilked the U.S. Treasury of billions in revenues before the IRS and Justice Department stepped in with civil penalties and criminal prosecutions. In Confidence Games, Tanina Rostain and Milton Regan describe the rise and fall of the tax shelter industry during this period, offering a riveting account of the most serious episode of professional misconduct in the history of the American bar. Rostain and Regan describe a beleaguered IRS preoccupied by attacks from antitax and antigovernment politicians; heightened competition for professional services; the relaxation of tax practitioner norms against aggressive advice; and the creation of complex financial instruments that made abusive shelters harder to detect. By 2004, the tax shelter boom was over, leaving failed firms, disgraced professionals, and prison sentences in its wake. Rostain and Regan's cautionary tale remains highly relevant today, as lawyers and accountants continue to face intense competitive pressure and regulators still struggle to keep pace with accelerating financial risk and innovation.

Global Trends 2040

Global Trends 2040 PDF Author: National Intelligence Council
Publisher: Cosimo Reports
ISBN: 9781646794973
Category :
Languages : en
Pages : 158

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Book Description
"The ongoing COVID-19 pandemic marks the most significant, singular global disruption since World War II, with health, economic, political, and security implications that will ripple for years to come." -Global Trends 2040 (2021) Global Trends 2040-A More Contested World (2021), released by the US National Intelligence Council, is the latest report in its series of reports starting in 1997 about megatrends and the world's future. This report, strongly influenced by the COVID-19 pandemic, paints a bleak picture of the future and describes a contested, fragmented and turbulent world. It specifically discusses the four main trends that will shape tomorrow's world: - Demographics-by 2040, 1.4 billion people will be added mostly in Africa and South Asia. - Economics-increased government debt and concentrated economic power will escalate problems for the poor and middleclass. - Climate-a hotter world will increase water, food, and health insecurity. - Technology-the emergence of new technologies could both solve and cause problems for human life. Students of trends, policymakers, entrepreneurs, academics, journalists and anyone eager for a glimpse into the next decades, will find this report, with colored graphs, essential reading.

Corporate Tax Shelters

Corporate Tax Shelters PDF Author: United States. Congress. House. Committee on Ways and Means
Publisher:
ISBN:
Category : Business & Economics
Languages : en
Pages : 196

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Book Description


General Tax Reform: Minimum tax and tax shelter devices, February 20, 1973

General Tax Reform: Minimum tax and tax shelter devices, February 20, 1973 PDF Author: United States. Congress. House. Committee on Ways and Means
Publisher:
ISBN:
Category : Taxation
Languages : en
Pages : 228

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Book Description


Can Delaware Be Dethroned?

Can Delaware Be Dethroned? PDF Author: Stephen M. Bainbridge
Publisher: Cambridge University Press
ISBN: 1108677398
Category : Law
Languages : en
Pages : 269

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Book Description
Delaware is the state of incorporation for almost two-thirds of the Fortune 500 companies, as well as more than half of all companies listed on the New York Stock Exchange, NASDAQ, and other major stock exchanges. This gives Delaware a seemingly unchallengeable position as the dominant producer of US corporate law. In recent years, however, some observers have suggested that Delaware's competitive position is eroding. Other states have long tried to chip away at Delaware's position, and recent Delaware legal developments may have strengthened the case for incorporating outside Delaware. More importantly, however, the federal government is increasingly preempting corporate governance law. The contributors to this volume are leading academics and practitioners with decades of experience in Delaware corporate law. They bring together a variety of perspectives that collectively provide the reader with a broad understanding of how Delaware achieved its dominant position and the threats it faces.

Abusive Tax Shelters

Abusive Tax Shelters PDF Author: United States. Congress. Senate. Committee on Finance. Subcommittee on Oversight of the Internal Revenue Service
Publisher:
ISBN:
Category : Tax administration and procedure
Languages : en
Pages : 208

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Book Description


Currencies After the Crash: The Uncertain Future of the Global Paper-Based Currency System

Currencies After the Crash: The Uncertain Future of the Global Paper-Based Currency System PDF Author: Sara Eisen
Publisher: McGraw Hill Professional
ISBN: 0071784896
Category : Business & Economics
Languages : en
Pages : 289

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Book Description
From the brightest minds in the field—a revealing look at how countries use their currencies to achieve prosperity . . . and the coming repercussions Bloomberg Television's Sara Eisen sheds light on the complex global financial system through this illuminating collection of essays. She hand selected the crème de la crème of authors from the world's most prestigious academic institutions and esteemed professional organizations to share—for the first time in print—their observations and deductions on the topics that matter most to you and your future wealth, including: • THE RELATIONSHIP BETWEEN CURRENCIES AND FINANCIAL CRISES • THE FLAWS WITHIN THE INTERNATIONAL EXCHANGE RATE SYSTEM AND THEIR CONSEQUENCES • HOW EMERGING MARKETS FIT INTO THE CURRENT AND FUTURE EXCHANGE RATE FRAMEWORK • THE IMPACT EXCHANGE RATES HAVE ON FREE TRADE AND ECONOMIC GROWTH • WHAT DEFINES A "SAFE HAVEN" CURRENCY AND ITS ROLE • POTENTIAL SOLUTIONS TO THE CURRENT ECONOMIC PROBLEMS "Today's fiat currency system is based upon trust among market participants, politicians, and central bankers--and that trust is assembled around the reserve currency that enjoys an exorbitant privilege. The reserve status is in doubt in a post financial crisis era but alternatives are lacking. . . . This book is a great guide on how the global currency system is morphing into apotential new standard, but not without the necessary volatility."—Ben Emons, Senior Vice President, Portfolio Manager, PIMCO

U.S. Investment Since the Tax Cuts and Jobs Act of 2017

U.S. Investment Since the Tax Cuts and Jobs Act of 2017 PDF Author: Emanuel Kopp
Publisher: International Monetary Fund
ISBN: 1498317049
Category : Business & Economics
Languages : en
Pages : 37

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Book Description
There is no consensus on how strongly the Tax Cuts and Jobs Act (TCJA) has stimulated U.S. private fixed investment. Some argue that the business tax provisions spurred investment by cutting the cost of capital. Others see the TCJA primarily as a windfall for shareholders. We find that U.S. business investment since 2017 has grown strongly compared to pre-TCJA forecasts and that the overriding factor driving it has been the strength of expected aggregate demand. Investment has, so far, fallen short of predictions based on the postwar relation with tax cuts. Model simulations and firm-level data suggest that much of this weaker response reflects a lower sensitivity of investment to tax policy changes in the current environment of greater corporate market power. Economic policy uncertainty in 2018 played a relatively small role in dampening investment growth.