posted on 2024-09-06, 09:00authored byProgramme Team
The international tax system needs a paradigm shift. The rules devised
over 80 years ago treat the different parts of a multinational enterprise
as if they were independent entities, although they also give national tax
authorities powers to adjust the accounts of these entities. This creates
a perverse incentive for multinationals to create ever more complex
groups in order to minimise taxes, exploiting the various definitions of
the residence of legal persons and the source of income. While states
may attempt to combat these strategies, they also compete to offer tax
incentives, many of which facilitate such techniques to undermine other
countries’ taxes.
Several alternative approaches have been identified, which start from
the economic reality that multinationals operate as unitary firms. These
include residence-based worldwide taxation, under which the ultimate
home country of a multinational taxes its worldwide profits but with a
credit for equivalent foreign taxes paid; a destination-based cash flow
tax, which attributes the tax base to the country of ultimate sales to
third parties; and unitary taxation with formulary apportionment, which
apportions the firm’s consolidated profits according to factors reflecting
its real presence in each country.
This volume outlines the nature of the problem and discusses attempts to
resolve it, including the recent G20/OECD project on base erosion and
profit shifting (BEPS). It then explores unitary taxation with formulary
apportionment. The contributions discuss how to move towards such a
system starting from the current rules; the role of accounting in defining
the consolidated tax base; lessons from the experience of existing
formulary systems, especially in the USA; evidence from quantitative
studies of tax base misalignment under current rules and the possible
effects of different apportionment formulas; specific issues in the finance
and extractive industries sectors; and the prospects for regional adoption.
Funding
Default funder
History
Publisher
Institute of Development Studies
Citation
Picciotto, S. (ed.) (2017) Taxing Multinational Enterprises as Unitary Firms. Brighton: Institute of Development Studies.