Separate Accounting Or Unitary Apportionment?

Separate Accounting Or Unitary Apportionment?

Author: Christoph Sommer

Publisher: BoD – Books on Demand

Published: 2011

Total Pages: 290

ISBN-13: 3844100148

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One field where the implications of the omnipresent globalization and hereby initiated new forms of cross-border business activity are exceptionally profound is the income taxation of multinational enterprises. The contemporary worldwide norm, which was adopted in the 1930s, is the separate accounting method. Despite its longevity as the preferred means for the taxation of multinational enterprises, the erosion of tax revenues from alleged transfer price manipulations by firms has goaded public discussion on whether or not the separate accounting method is still a satisfactory solution to the problem of international income taxation. Particularly the European Commission's study "Company Taxation in the Internal Market" and its suggestion to replace separate accounting with unitary apportionment in the European Union has strongly accelerated the debate about the future of group taxation. In the present treatise, both abovementioned taxation concepts are elucidated as well as qualitatively and quantitatively reviewed against the background of the economic rationale for the multinational enterprise, the way it generates income and the management of its internal affairs. The highlight of this treatise is the general equilibrium model of firm behavior under unitary apportionment, which is, as will be seen, in several important respects more powerful than the usual partial equilibrium treatment of the formulary approach. The presented model, therefore, provides considerable insights regarding the tax incidence and induced real-economic distortions under unitary apportionment. Above all, this model will allow policy-makers and tax authorities to make reasonable estimates concerning potential alterations in tax revenues collected if separate accounting was replaced by unitary apportionment in the future.


An Assessment of Global Formula Apportionment

An Assessment of Global Formula Apportionment

Author: Ruud A. de Mooij

Publisher: International Monetary Fund

Published: 2019-10-11

Total Pages: 41

ISBN-13: 1513516256

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Formula apportionment as a way to attribute taxable profits of multinationals across jurisdictions is receiving increased attention. This paper reviews existing literature and discusses experiences in selective federal states to evaluate the economic properties of formula apportionment relative to the current international tax regime that is based on separate accounting. It highlights major advantages, such as the elimination of profit shifting within multinational groups; and it discusses new distortions and the impact on tax competition. The analysis exploits different datasets to assess the direct revenue implications for individual countries under alternative formulas. The distributional effects across countries are found to be large, reflecting major discrepancies between where profits are currently attributed and where factors of production are located or sales take place. The largest losses appear in investment hubs (i.e. countries with a disproportionate ratio of foreign direct investment to GDP), while several large advanced countries are likely to gain. Developing countries gain most likely if employment receives a large weight in the formula; they also tend to benefit, on average, from a formula based on sales by destination.


Taxing Multinationals

Taxing Multinationals

Author: Lorraine Eden

Publisher: University of Toronto Press

Published: 1998-01-01

Total Pages: 788

ISBN-13: 9780802007766

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Eden examines how transfer pricing has been handled in different disciplines, including international business, economics, accounting, law and public policy.


Code of Federal Regulations

Code of Federal Regulations

Author: United States. Internal Revenue Service

Publisher:

Published: 2015

Total Pages: 956

ISBN-13:

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Special edition of the Federal register, containing a codification of documents of general applicability and future effect as of April 1 ... with ancillaries.