Today at
NYU, Mindy Herzfeld presented her paper, The Case Against Tax Coordination:
Lessons from BEPS. I offered comments at the session, as did Mitchell Kane, and the following is
an expanded version of my notes.
As I read
it, the paper’s main three claims are as follows:
1) International
tax coordination, at least as represented by the OECD-BEPS project, is “problematic”
at best. This critique, however, combines calling the project (a) likely to be unsuccessful
on its own terms, and (b) illegitimate, or at least less legitimate than
claimed. These are quite distinct, in that one might especially regret (a) in
the absence of (b).
2) She
sees broader difficulties in tax coordination, in part because who gets a given
dollar of tax revenue is a zero-sum game.
3) She
views the BEPS project’s attempted implementation as slanted in favor of developed
countries &/or residence /production countries (which are not always the
same! – hence the equivocal U.S. response). There’s no global consensus to
allocate tax base to the place of production rather than the place of
consumption, & it’s not inherently the fairer approach of the two.
I have
some sympathy with Mindy’s views, although she’s more annoyed than I am by the self-righteous
rhetoric that inevitably accompanies a political process like BEPS. I’ll just make two broad points:
1) Since
who gets a given dollar of revenue is zero-sum, one has to look elsewhere for
gains from cooperation. But there are two places to look:
--Greater
efficiency from reduced waste that makes the overall pie larger.
--Loss
to someone else who’s outside the deal!
Residence
& source countries can potentially meet both by addressing profit-shifting
to tax havens. There’s some waste
associated with the profit-shifting, even though a lot of the underlying “activity”
is just paper-shuffling.
Plus,
while the havens don’t benefit from cutting out their role, suppose they’re
left outside the scope of the deal. Then there’s more room for the others to
benefit.
The fact
that I see a logical basis for cooperation from other countries cutting out the
tax havens doesn’t mean that I think the havens are doing anything wrong.
They’re rationally pursuing their own self-interest. This involves responding
to a type of consumer demand in the global marketplace. A place like the Cayman Islands isn’t
conniving in tax fraud by U.S. and other multinational companies – it’s simply
offering a convenient and trustworthy low-tax place to “park” profits, once
companies have exploited the other countries’ rules – which those
countries created, not the Caymans – to make the profit-shifting legally
effective in those countries.
But while,
on the one hand, I don’t see the Caymans as doing something wrong – it’s being
smart on behalf of their own human residents – they also don’t logically have a
place at the table if the other countries decide to revise their own rules in
such a way that the marketplace’s demand for what the Caymans is offering
declines.
2) Both
residence and source countries have reasonable goals. What puts them in
conflict is entity-level corporate income taxation.
I’d like
to redirect discussion, to a degree, from the question of “Which country gets
to tax the income?” to that of “What are differently situated countries trying
to do, and to what extent are their aims at least in principle reconcilable?”
I agree
that the definition of “source” isn’t going to resolve such questions as
whether the U.S. or India should tax profits from selling the fruits of U.S. IP
in India. It’s true that, in principle, income is an origin concept – it’s
about productive activity – while consumption is a destination concept – it’s
about using the fruits of economic production. So one might initially think, if
this were relevant to the global source issue, that production countries like
the U.S. have a stronger claim to tax the income.
But
there’s no particular reason why countries need to share tax base one way or
the other, depending on whether they claim to be using an income tax or not.
And in fact the U.S. income tax has a mix, not only of income and consumption
tax elements, but also (and separately) of origin-based and destination-based
source rules. E.g., royalties create US
source income if the property is used in the U.S., even if the IP was created
abroad.
Plus, of
course, policymakers in Washington are now debating a destination-based cash
flow tax that would replace the corporate income tax. A key reason for their
considering it is that it kinds of looks like an income tax, even though it
actually isn’t.
So let’s
shift to the question: What are differently situated countries trying to do?
Residence
or production countries – they might like to address tax competition with regard to where
production occurs, but that’s tough. Another goal is to succeed in taxing
resident individuals who are corporate owner-employees but avoid paying
themselves high salaries (instead, they profit through stock appreciation).
This is a big part of what motivates my concern about profit-shifting by U.S.
companies.
Source
or consumption countries – they might like to use monopsony power to extract some of the
profits that foreign multinationals could otherwise get from their
consumers. I have nothing against this
either. National self-interest relative
to the interests of outsiders is par for the course, plus a lot of the
multinationals are earning rents that reflect the market power they get, for
example, from IP protection. The exercise
of monopsony power doesn’t necessarily reduce global efficiency when it goes up
against monopoly power.
These
goals aren’t in principle completely inconsistent with each other, although
there’s no reason for production countries to be glad if a larger share of the
profits that their own resident individuals earn end up going instead to people
in the source countries.
But anyway,
two things are clear. First, we’re asking the corporate income tax to do more
work for different players than it really can these days. Second, we’re not as
ready to move away from it, and to shift its surviving functions to other tax
instruments, as one might like us to be.
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