Back to the Drawing Board: The Structural and Accounting Consequences of a Switch to a Territorial Tax System

Michael P. Donohoe, Gary A. Mcgill, Edmund Outslay

Research output: Contribution to journalArticlepeer-review

Abstract

We review the basics of international tax planning by U.S. multinational corporations (MNCs) and the organizational structures that facilitate such planning. We then discuss the potential impacts that adopting a participation exemption regime (i.e., a territorial tax system) along the lines proposed by Representative Camp could have on a U.S. MNC’s worldwide supply chain structure and financing arrangements. We compare the change in a corporation’s global accounting effective tax rate under the current U.S. worldwide tax system and four participation exemption options proposed by Representative Camp. Using a hypothetical set of facts representative of a U.S. multinational with highly mobile intellectual property income, we show that the options produce very different accounting effective tax rates and tax revenues received by the U.S. Treasury. We also point out potential tax planning strategies that could be employed pre- and post-effective date of the implementation of a participation exemption system that would change the expected revenue to be received during the transition to such a system.
Original languageEnglish (US)
Pages (from-to)713-744
JournalNational Tax Journal
Volume66
Issue number3
DOIs
StatePublished - Sep 1 2013

Fingerprint

Dive into the research topics of 'Back to the Drawing Board: The Structural and Accounting Consequences of a Switch to a Territorial Tax System'. Together they form a unique fingerprint.

Cite this