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Enacting Dividend Exemption and Tax Revenue

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  • Grubert, Harry

Abstract

This paper first presents a "static" no-behavioral-change estimate of the revenue implications of dividend exemption, and how it depends on the various components of the scheme that are assumed. Using 1996 data, we find that there is a "static" gain in excess of $9 billion. The allocations of parent overhead expense to exempt income and the full taxation of sales source and royalty income, which can no longer be shielded by excess credits flowing over from dividends, are much more significant than the foregone taxes on dividends. The Treasury files are then used to evaluate the potential significance of behavioral responses, the most important of which involve expense allocations and royalties. The objective of the analysis is to identify companies that have the same incentives under current law as all companies would have under exemption. The evidence suggests that the behavioral changes may be large but that they would tend to offset each other. Royalty payments will decline but, at the same time, parent multinational corporations will carry less debt on their own books.

Suggested Citation

  • Grubert, Harry, 2001. "Enacting Dividend Exemption and Tax Revenue," National Tax Journal, National Tax Association;National Tax Journal, vol. 54(4), pages 811-827, December.
  • Handle: RePEc:ntj:journl:v:54:y:2001:i:4:p:811-27
    DOI: 10.17310/ntj.2001.4.08
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    References listed on IDEAS

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    1. Altshuler, Rosanne & Grubert, Harry, 2001. "Where Will They Go if We Go Territorial? Dividend Exemption and the Location Decisions of U.S. Multinational Corporations," National Tax Journal, National Tax Association;National Tax Journal, vol. 54(4), pages 787-809, December.
    2. James R. Hines & Eric M. Rice, 1994. "Fiscal Paradise: Foreign Tax Havens and American Business," The Quarterly Journal of Economics, President and Fellows of Harvard College, vol. 109(1), pages 149-182.
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    1. Altshuler, Rosanne & Grubert, Harry, 2001. "Where Will They Go if We Go Territorial? Dividend Exemption and the Location Decisions of U.S. Multinational Corporations," National Tax Journal, National Tax Association;National Tax Journal, vol. 54(4), pages 787-809, December.
    2. Harry Grubert, 2003. "The Tax Burden on Cross-Border Investment: Company Strategies and Country Responses," CESifo Working Paper Series 964, CESifo.
    3. John Mutti & Harry Grubert, 2009. "The Effect of Taxes on Royalties and the Migration of Intangible Assets Abroad," NBER Chapters, in: International Trade in Services and Intangibles in the Era of Globalization, pages 111-137, National Bureau of Economic Research, Inc.
    4. Desai, Mihir A. & Foley, C. Fritz & Hines, James R. Jr., 2011. "Tax Policy and the Efficiency of U.S. Direct Investment Abroad," National Tax Journal, National Tax Association;National Tax Journal, vol. 64(4), pages 1055-1082, December.
    5. Christian Bellak & Markus Leibrecht, 2010. "Does Lowering Dividend Tax Rates IncreaseDividends Repatriated? Evidence of Intrafirm Cross-Border Dividend Repatriation Policiesby German Multinational Enterprises," FinanzArchiv: Public Finance Analysis, Mohr Siebeck, Tübingen, vol. 66(4), pages 350-383, December.
    6. Mr. Peter J. Mullins, 2006. "Moving to Territoriality? Implications for the United States and the Rest of the World," IMF Working Papers 2006/161, International Monetary Fund.
    7. Kimberly Clausing & Edward Kleinbard & Ms. Thornton Matheson, 2016. "U.S. Corporate Income Tax Reform and its Spillovers," IMF Working Papers 2016/127, International Monetary Fund.

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