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The Future of Taxes and Multinational Corporations

 

Countries around the globe are trying to stem the so-called "rush to the bottom," which has multinational companies moving their corporate headquarters so they can lower their tax bills. Countries like Bermuda, the Cayman Islands and Ireland are some popular destinations for corporations looking for tax havens. The result of this tax strategy is a loss of worldwide government revenues estimated to be between $500 and $600 billion annually, according to the International Monetary Fund.

This issue of businesses shuffling their headquarters between countries is not new. It has made the headlines many times over the past 30 years or so, but the economic effects of the COVID-19 pandemic have made it a front-page issue. With so many individuals and small businesses struggling economically, the public's demand for fairer taxation has become part of the debate.

A significant driver of the international tax debate is the way digital services are taxed, especially the services provided by digital giants like Facebook, Amazon and Google. The existing laws never anticipated that data would be the revenue-creating behemoth that it is or that most of the global tech giants would be U.S. companies.

President Biden's proposed Made in America Tax Plan seeks to ensure that corporations, including the digital giants, pay their fair share of taxes.

Some of the main features of the Biden plan that affect multinational companies include:

  • Enacting country-by-country minimum tax rates on offshore assets. Currently, companies headquartered abroad deduct 50% of their foreign income from their tax burden and may claim a tax credit of 80% of their foreign tax payments, no matter how large or small those tax payments were. That means that a company that claims an address in a country with no corporate tax at all can simply halve its tax burden. Adding more tax brackets would level the playing field.
  • Modifying or eliminating the Tax Cuts and Jobs Act (TCJA) provisions incentivizing the offshoring of assets. The proposed changes would eliminate the Foreign-Derived Intangible Income (FDII) tax incentives and replace the Base Erosion and Anti-Abuse Tax (BEAT) with the Stopping Harmful Inversions and Ending Low-Tax Developments (SHIELD) tax.

Having international buy-in to a global minimum corporate tax is an important element of President Biden's agenda. Currently, the OECD is overseeing a 140-nation effort to develop a framework for a new global minimum tax that would allow the countries where the sales are being made, rather than the one where the corporate headquarters are located, to get a bigger share of a corporation's taxes. This is intended to prevent corporations from shifting profits from high-tax jurisdictions to lower-tax ones. Individual countries would rely on the OECD framework as they form their own tax legislation.

The OECD's goal is to have its plan ready by July 2021. No one knows what the proposed tax rate will be or whether it will be adopted by the participating countries. The hope is that it will be the beginning of international cooperation for the taxation of multinational corporations.

The stakes are high for multinational corporations operating in the United States. If these changes are enacted, there would be a big change in how multinationals report profits and revenue, how they are taxed, and what their compliance requirements will be.

We are focused on your success. If you need assistance or have any questions about the information shared in this newsletter, please call your CironeFriedberg professional. You can reach us by phone at (203) 798-2721 (Bethel), (203) 366-5876 (Shelton), or (203) 359-1100 (Stamford), or email us at info@cironefriedberg.com.

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CironeFriedberg, LLP
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Our firm provides the information in this e-newsletter for general guidance only, and does not constitute the provision of legal advice, tax advice, accounting services, investment advice, or professional consulting of any kind. The information provided herein should not be used as a substitute for consultation with professional tax, accounting, legal, or other competent advisers. Before making any decision or taking any action, you should consult a professional adviser who has been provided with all pertinent facts relevant to your particular situation. Tax articles in this e-newsletter are not intended to be used, and cannot be used by any taxpayer, for the purpose of avoiding accuracy-related penalties that may be imposed on the taxpayer. The information is provided "as is," with no assurance or guarantee of completeness, accuracy, or timeliness of the information, and without warranty of any kind, express or implied, including but not limited to warranties of performance, merchantability, and fitness for a particular purpose.
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