This document analyzes corporate tax policy and income shifting between personal and corporate tax bases in the EU. It uses panel data from Eurostat on the number and employment of firms by legal form (sole proprietorships, corporations, partnerships) across 17 EU countries, 60 sectors, and 1997-2003. The data allow examining how the share of incorporated businesses, measured in four ways, responds to differences in personal and corporate tax rates. Understanding income shifting is important because it suggests corporate tax cuts may erode personal tax revenues rather than corporate revenues through incentives for unincorporated businesses to incorporate.
Dual income tax systems have become increasingly popular; yet, relatively little is known about the consequences of implementing such tax systems. This paper uses a representative panel of taxpayers from the 1993 Finnish tax reform to measure how overall taxable income and the relative shares of capital income and labour income reacted to the reform. The Finnish tax reform appears to be particularly suitable for analysing the effect of separating labour and capital income tax bases. The reform radically reduced the marginal tax rates on capital income to some, but not all, taxpayers, while the taxation of labour income was not reformed at the same time. We find that the reform led to a small positive impact on overall taxable income, but part of the positive response was probably offset by income shifting among the self-employed.
VAT/ GST in a Global Digital Economy - Chapter 9_Conclusions: The future of V...Sophie Claessens
The contribution raises the question whether the current tax framework is fit for the digital environment and comments on challenges around characterisation of supplies, the place of taxation in a digital environment, the specific case of bitcoins and vouchers and the issues of VAT rates and VAT collection in a digital environment.
VAT/ GST in a Global Digital Economy - Chapter 4A_Intermediated Delivery and ...Sophie Claessens
The contribution comments on the world's digital transformation, the challenges involved in identifying the business liable for the VAT where digital services are delivered through (multiple) intermediaries, the different business scenarios and their VAT implications and the EU VAT Directive and implementing provisions.
The document summarizes a report analyzing the economic impact of implementing a European Financial Transactions Tax (FTT). It finds that applying the tax would result in significant job losses across Europe. Specifically:
- Modeling estimates the tax would cause over 641,000 job losses in the EU, including over 176,000 in Germany, 125,000 in France, and 109,000 in Italy.
- The tax is projected to double current taxes on capital and reduce activity in some financial markets by around 75%.
- Imposing the tax risks reducing economic growth, investment, and job creation. It could also undermine public finances by taxing government bond transactions.
- The European Commission's impact assessment of the FTT fails
Encuesta sobre acceso a la financiación de las pequeñas y medianas empresas e...Círculo de Empresarios
The document summarizes the results of a survey on the access to finance of small and medium-sized enterprises (SMEs) in the euro area between April and September 2013. It finds that while the percentage of SMEs reporting reduced turnover declined slightly, high percentages continued to report increased costs and reduced profits. SMEs also continued reducing their debt levels. The financial situation varied across countries, with SMEs in Germany and Ireland faring better than those in Italy, Spain and Greece. "Finding customers" remained the most commonly cited concern among SMEs, while "access to finance" was a more significant problem for SMEs in stressed countries like Greece, Spain and Ireland.
Varieties of industrial relations in Europe - 2016Eurofound
industrial relations in Europe, labour relations, employment relations, social dialogue, trade, unions, crisis, cross-sector, employers, european company, european framework agreements, european works council, industrial action, industrial action, industrial relations, law, minimum wage, sectoral social dialogue, social dialogue, trade unions, wages, working time, bargaining in the shadow of the law, collective agreements, European commission, EU law, EU treaties, decentralization of collective bargaining, single employer bargaining, multi-employer bargaining, extension of collective agreements, favourability principle, opt-out, opening clause, erga omnes, commodity, ILO, dispute settlement, varieties of capitalism, coordinated market economy, liberal market economy, bi-partite, tri-partite, Val Duchesse, macro-economic dialogue, tri-partite social summit, social dialogue committee, working time, labor productivity, labor cost, trade union density, collective bargaining coverage, pay, autonomous agreements, telework, parental leave, BUSINESSEUROPE, ETUC, CEEP, UEAPME, mega trends, information and consultation, open method of coordination, mutual learning,
Impact of the crisis on industrial relations in EuropeEurofound
This document summarizes the impact of the economic crisis on industrial relations in Europe. It discusses how the crisis has put pressure on actors, processes, and outcomes of industrial relations. Key trends include decentralization of collective bargaining, fewer extensions of agreements to non-signatories, shorter agreements, fewer agreements reached, reforms to wage-setting mechanisms in countries receiving financial assistance, and more adversarial industrial relations in some countries. While some trends predated the crisis, it accelerated changes and induced new crisis-driven trends in many European countries.
The document summarizes the findings of a representativeness study on temporary agency work conducted by Eurofound. It finds that:
1) There are 62 trade union organizations related to temporary work in 22 EU member states, with geographical and membership coverage varying significantly between countries.
2) There are 41 employer associations identified across 26 EU countries, with narrower domain definitions than the trade unions. Many employer organizations are not involved in collective bargaining.
3) Eurociett and UNI Europa are considered the most important European social partner organizations representing employers and employees respectively in the temporary work sector, based on their membership and mandate.
Dual income tax systems have become increasingly popular; yet, relatively little is known about the consequences of implementing such tax systems. This paper uses a representative panel of taxpayers from the 1993 Finnish tax reform to measure how overall taxable income and the relative shares of capital income and labour income reacted to the reform. The Finnish tax reform appears to be particularly suitable for analysing the effect of separating labour and capital income tax bases. The reform radically reduced the marginal tax rates on capital income to some, but not all, taxpayers, while the taxation of labour income was not reformed at the same time. We find that the reform led to a small positive impact on overall taxable income, but part of the positive response was probably offset by income shifting among the self-employed.
VAT/ GST in a Global Digital Economy - Chapter 9_Conclusions: The future of V...Sophie Claessens
The contribution raises the question whether the current tax framework is fit for the digital environment and comments on challenges around characterisation of supplies, the place of taxation in a digital environment, the specific case of bitcoins and vouchers and the issues of VAT rates and VAT collection in a digital environment.
VAT/ GST in a Global Digital Economy - Chapter 4A_Intermediated Delivery and ...Sophie Claessens
The contribution comments on the world's digital transformation, the challenges involved in identifying the business liable for the VAT where digital services are delivered through (multiple) intermediaries, the different business scenarios and their VAT implications and the EU VAT Directive and implementing provisions.
The document summarizes a report analyzing the economic impact of implementing a European Financial Transactions Tax (FTT). It finds that applying the tax would result in significant job losses across Europe. Specifically:
- Modeling estimates the tax would cause over 641,000 job losses in the EU, including over 176,000 in Germany, 125,000 in France, and 109,000 in Italy.
- The tax is projected to double current taxes on capital and reduce activity in some financial markets by around 75%.
- Imposing the tax risks reducing economic growth, investment, and job creation. It could also undermine public finances by taxing government bond transactions.
- The European Commission's impact assessment of the FTT fails
Encuesta sobre acceso a la financiación de las pequeñas y medianas empresas e...Círculo de Empresarios
The document summarizes the results of a survey on the access to finance of small and medium-sized enterprises (SMEs) in the euro area between April and September 2013. It finds that while the percentage of SMEs reporting reduced turnover declined slightly, high percentages continued to report increased costs and reduced profits. SMEs also continued reducing their debt levels. The financial situation varied across countries, with SMEs in Germany and Ireland faring better than those in Italy, Spain and Greece. "Finding customers" remained the most commonly cited concern among SMEs, while "access to finance" was a more significant problem for SMEs in stressed countries like Greece, Spain and Ireland.
Varieties of industrial relations in Europe - 2016Eurofound
industrial relations in Europe, labour relations, employment relations, social dialogue, trade, unions, crisis, cross-sector, employers, european company, european framework agreements, european works council, industrial action, industrial action, industrial relations, law, minimum wage, sectoral social dialogue, social dialogue, trade unions, wages, working time, bargaining in the shadow of the law, collective agreements, European commission, EU law, EU treaties, decentralization of collective bargaining, single employer bargaining, multi-employer bargaining, extension of collective agreements, favourability principle, opt-out, opening clause, erga omnes, commodity, ILO, dispute settlement, varieties of capitalism, coordinated market economy, liberal market economy, bi-partite, tri-partite, Val Duchesse, macro-economic dialogue, tri-partite social summit, social dialogue committee, working time, labor productivity, labor cost, trade union density, collective bargaining coverage, pay, autonomous agreements, telework, parental leave, BUSINESSEUROPE, ETUC, CEEP, UEAPME, mega trends, information and consultation, open method of coordination, mutual learning,
Impact of the crisis on industrial relations in EuropeEurofound
This document summarizes the impact of the economic crisis on industrial relations in Europe. It discusses how the crisis has put pressure on actors, processes, and outcomes of industrial relations. Key trends include decentralization of collective bargaining, fewer extensions of agreements to non-signatories, shorter agreements, fewer agreements reached, reforms to wage-setting mechanisms in countries receiving financial assistance, and more adversarial industrial relations in some countries. While some trends predated the crisis, it accelerated changes and induced new crisis-driven trends in many European countries.
The document summarizes the findings of a representativeness study on temporary agency work conducted by Eurofound. It finds that:
1) There are 62 trade union organizations related to temporary work in 22 EU member states, with geographical and membership coverage varying significantly between countries.
2) There are 41 employer associations identified across 26 EU countries, with narrower domain definitions than the trade unions. Many employer organizations are not involved in collective bargaining.
3) Eurociett and UNI Europa are considered the most important European social partner organizations representing employers and employees respectively in the temporary work sector, based on their membership and mandate.
Living and Working in Finland, presented by EURESEURES
Living and Working in Finland provides information for EU citizens seeking jobs in Finland. Finland has a population of 5.3 million, with most citizens being Finnish or Swedish speakers. The largest industries are health care, services, and education, which sometimes experience labor shortages. Unemployment was 7.3% in 2010. Common jobs include nurses, teachers, and sales roles. Public services are free for EU citizens, who can search for jobs on websites like mol.fi and eures.europa.eu. Housing rents vary widely but average 400-700 euros for a two-bedroom apartment. Tax rates are progressive up to 26.5% of income on average salaries.
Vat revenue and state investment spending in nigeria, 1994 2010.Alexander Decker
This study examines the relationship between VAT revenue and state investment spending in Nigeria from 1994 to 2010. Time series data on VAT revenue and state investment expenditure were collected from the Central Bank of Nigeria. Unit root tests and cointegration analysis were conducted to determine the long-run relationship between the variables. Vector error correction modeling was also used to analyze the causal link between VAT revenue and state investment spending. The results showed there is a long-run bidirectional causal relationship between the two variables, indicating they influence each other both in the short-run and long-run.
Why Company Does Tax Avoidance? Evidence from a Manufacturing Company in Indo...inventionjournals
: The problem of this research is corporate social responsibility, profitability, independent Commissioners, and the ratio of Tobin q effect on tax avoidance. With the goal of obtaining empirical evidence whether corporate social responsibility, profitability, independent Commissioners, and the ratio of Tobin q effect on tax avoidance. The study sample as many as 34 companies manufacturing in the Jakarta Stock Exchange of 141 existing manufacturing companies The results Showed that CSR, profitability, independent Commissioners, and Tobin's q ratio has a significant effect on tax avoidance. While partially, independent directors, and Tobin's q ratio have no significant effect on tax avoidance, and tax avoidance Significantly Affects
Regulation of Entry and Innovative Entrepreneurship - Matteo ConsonniMatteo Consonni
This document analyzes how entry regulation policies in European countries influenced the number of start-ups supported by EU Cohesion Policy funds between 2007-2013. It hypothesizes that countries with lower entry regulation, like the UK, supported more start-ups than highly regulated countries like Italy. Both quantitative and qualitative analyses were conducted. The quantitative analysis found moderate to weak negative correlations between entry regulation indicators and start-ups supported, supporting the hypothesis. The qualitative analysis interviewed entrepreneurs in Italy and the UK, finding that entry regulation discouraged starting businesses in Italy but not the UK. Overall, the study concludes that entry regulation can hamper entrepreneurship, and less regulation may better support innovation and economic growth.
Germany provides several incentives for investment including a central location, skilled workforce, and a 15% corporate tax rate. The most common legal business structure is a GmbH, which offers limited liability. Germany has a comprehensive social security and labor system where both employers and employees contribute monthly. Taxes include a solidary surcharge, trade tax, personal income tax, VAT, inheritance/gift tax, and real estate transfer tax.
This document discusses the influence that the Big Four accounting firms (Deloitte, PwC, EY, and KPMG) have on EU tax policy through various channels. It notes that despite evidence that these firms facilitate corporate tax avoidance, they continue to advise the EU on tackling tax avoidance through positions on advisory groups and by receiving millions in public contracts. The document also provides two case studies that illustrate how the Big Four and multinational corporations lobby the EU to weaken proposed transparency rules and country-by-country reporting. It concludes that the Big Four have conflicts of interest due to their role in tax avoidance, and should be removed from advising the EU on related policy.
Making fundamental tax reform happen_BrysBert Brys
This document summarizes a paper that discusses strategies for implementing fundamental tax reform. It identifies obstacles to tax reform related to balancing efficiency and equity considerations, revenue concerns, and tax avoidance. International rules and commitments can also constrain reform options. The paper explores how to overcome such obstacles, including balancing different policy objectives, assessing dynamic redistributional impacts, and using strategies like broadening tax bases and keeping rates low to minimize avoidance opportunities.
This document provides an overview and analysis of formulary apportionment as a method for distributing a common consolidated corporate tax base among EU member states. It discusses the key considerations in designing an apportionment formula, including whether to include sales and intangible property. It also applies game theory to analyze the choices facing the EU in selecting a formula. The document examines the challenges the European Commission faces in developing a formula that satisfies principles of simplicity, minimizes manipulation, distributes income fairly, and does not negatively impact tax competition among member states.
This paper reviews the literature on optimal taxation of labour income and the empirical work on labour supply and the elasticity of taxable income in Sweden. It also presents an overview of Swedish taxation of labour income, offers calculations on the development in effective marginal tax rates and participation tax rates, and estimates, using the difference-indifferences method, the impact of tax incentives on employment rates of elderly workers. After this background, we ponder possibilities for reforming the Swedish tax system to
improve its labour market impacts. We suggest better targeting the earned income tax credit at families and low-income workers, lowering the top marginal tax rates, and maintaining the tax incentives for older workers.
This document summarizes a study examining fundamental reforms to personal income tax systems in OECD countries over the last two decades. It finds that almost all reforms have reduced tax rates while broadening the tax base. It examines trends in the taxation of labor and capital income. The study also analyzes the main drivers of tax reform, including raising revenue, restoring efficiency, maintaining fairness, and reducing complexity. It evaluates different types of personal income tax systems - comprehensive, dual, and flat taxes - in terms of principles of sound tax policy. Finally, it discusses recent tax reform proposals and experiences in OECD countries.
Applications of EU Fiscal Harmonization Plans in BelgiumPhilippe Soweid
This document discusses the potential challenges that EU fiscal harmonization plans may pose for Belgium given its unique fiscal rules. It begins by outlining the EU's goals of fiscal harmonization to reduce tax avoidance among member states. It then examines two of Belgium's key fiscal policies - the notional interest deduction and excess profit scheme. While the notional interest deduction mechanism is not inherently incompatible with EU law, it can enable tax avoidance when used by foreign companies. The excess profit scheme was recently ruled illegal by the EU for violating state aid rules. The document considers how Belgium may need to adapt its fiscal policies if the EU pushes forward with harmonization reforms.
This document summarizes a working paper that develops a new tax measure called the Tax Attractiveness Index. The index is intended to provide a more comprehensive picture of a country's tax environment compared to existing measures like statutory tax rates. It incorporates 16 different tax factors related to corporate taxation, such as the statutory tax rate, taxation of dividends/capital gains, withholding taxes, group taxation rules, tax treaties, and more. Methods are described for quantifying each factor on a scale of 0 to 1, with higher numbers indicating more favorable tax conditions. The index is calculated for 100 countries from 2005 to 2009. The paper aims to use this new measure to better understand differences in tax attractiveness across countries and regions over time
1- International accounting standards - a "starting point" for a common european tax base? Prof. Dr Wolfgang Schön / 2 - Article: the david r. tillinghast lecture: the odd couple: a common future for financial and tax accounting? / 3 - Accounting for income taxes according to international financial reporting standards - Dave Santerre / 4 - Book tax conformity for financial instruments-Yoram Keinan / 5 - Cross-Border intra-group hybrid finance: a comparative analysis of the legal approach adopted by Brazil, the United Kingdom and the United States / 6 - IAS 37 and tax law-Eli Gilbai / 7 - Inter-relationship between accounting and taxation-india / 8 - Reilly v. The Queen / 9 - Tax accounting in germany – an outline
10 - Taxation versus ifrs investment property as a test case-Eli Gilbai / 11 - Thor power tool co. v. c.i.r. commissioner
Sumário:
1- International accounting standards - a "starting point" for a common european tax base? Prof. Dr Wolfgang Schön / 2 - Article: the david r. tillinghast lecture: the odd couple: a common future for financial and tax accounting? / 3 - Accounting for income taxes according to international financial reporting standards - Dave Santerre / 4 - Book tax conformity for financial instruments-Yoram Keinan / 5 - Cross-Border intra-group hybrid finance: a comparative analysis of the legal approach adopted by Brazil, the United Kingdom and the United States / 6 - IAS 37 and tax law-Eli Gilbai / 7 - Inter-relationship between accounting and taxation-india / 8 - Reilly v. The Queen / 9 - Tax accounting in germany – an outline
10 - Taxation versus ifrs investment property as a test case-Eli Gilbai / 11 - Thor power tool co. v. c.i.r. commissioner
- Tax systems within the European Union are highly divergent, with corporate tax rates ranging from 12% in Ireland to 33% in France and Belgium.
- France has higher nominal tax rates and narrower tax bases compared to other EU countries, resulting in high tax burdens. Ireland has lower overall tax burdens with a strong reliance on direct taxes like income tax.
- Ireland's 12.5% corporate tax rate has helped attract significant foreign direct investment, though economists disagree on its overall impact on Ireland's growth. France finances higher public services through taxes.
There is a lack of clear evidence of the ways in which dividend taxation affects dividend distributions and investment since the evidence is based mainly on the behaviour of large listed companies. This paper utilises a large register-based panel data set, where the vast majority of firms are small and medium-sized enterprises, to examine the responses to the Finnish dividend tax increase of 2005. This reform creates a useful opportunity to measure enterprise behaviour, since it involves exogenous variation in the tax treatment of different types of firms. The results, based on differences- in-differences estimation and matching methods, indicate that dividends declined somewhat in closely held corporations that faced a tax increase, perhaps for timing reasons, while investments did not decline. These findings are more in line with the new rather than the old view of dividend taxation.
The International Tax Competitiveness Index (ITCI) seeks to measure the extent to which a country’s tax system adheres to two important aspects of tax policy: competitiveness and neutrality.
A competitive tax code is one that keeps marginal tax rates low. In today’s globalized world, capital is highly mobile. Businesses can choose to invest in any number of countries throughout the world to find the highest rate of return. This means that businesses will look for countries with lower tax rates on investment to maximize their after-tax rate of return. If a country’s tax rate is too high, it will drive investment elsewhere, leading to slower economic growth. In addition, high marginal tax rates can lead to tax avoidance.
To measure whether a country’s tax system is neutral and competitive, the ITCI looks at more than 40 tax policy variables. These variables measure not only the level of taxes, but also how taxes are structured. The Index looks at a country’s corporate taxes, individual income taxes, consumption taxes, property taxes, and the treatment of profits earned overseas. The ITCI gives a comprehensive overview of how developed countries’ tax codes compare, explains why certain tax codes stand out as good or bad models for reform, and provides important insight into how to think about tax policy.
A Real Option Approach To Sustainable Corporate Tax BehaviorBecky Gilbert
This document discusses analyzing the shift from aggressive corporate tax planning to more sustainable tax behavior using real option theory. Real option theory considers investment decisions as options that provide flexibility. It accounts for uncertainty better than traditional cost-benefit models. The document argues sustainable tax behavior can be viewed as exercising a real option. Factors like the present value of benefits, volatility of benefits, timing flexibility, and opportunity costs influence the value of this real option and a company's decision to adopt more sustainable tax behavior. Additional policy interventions may be needed to reduce the value of waiting and further encourage the shift.
The document discusses several recent tax developments across Europe:
1) The European Commission ordered Ireland to recover up to €13 billion in back taxes from Apple, claiming Ireland's tax rulings with Apple constituted illegal state aid. This decision does not affect Ireland's overall tax system.
2) New rules were enacted in the Netherlands imposing country-by-country reporting requirements and transfer pricing documentation obligations on large multinational groups.
3) The Silicon Valley Tax Directors Group sent a letter to the Dutch government with suggestions to improve the Netherlands' business tax regime and maintain its competitiveness in attracting foreign investment. They expressed concerns about the EU's anti-tax avoidance directive and public country-by-country reporting proposals
The document discusses several recent tax developments across Europe:
1) The European Commission ordered Ireland to recover up to €13 billion in back taxes from Apple, claiming Ireland's tax rulings with Apple constituted illegal state aid. This decision does not affect Ireland's overall tax system.
2) New rules were enacted in the Netherlands imposing country-by-country reporting requirements and transfer pricing documentation obligations on large multinational groups.
3) The Silicon Valley Tax Directors Group sent a letter to the Dutch government with suggestions to improve the Netherlands' business tax regime and maintain its competitiveness in attracting foreign investment. They expressed concerns about the EU's anti-tax avoidance directive and public country-by-country reporting proposals
This document summarizes a research study that examined the influence of economic and psychological determinants on tax compliance in Croatia. The study administered questionnaires to 862 Croatian taxpayers to collect data on their tax compliance behaviors and perceptions of economic and psychological factors. Partial least squares structural equation modeling was then used to analyze the survey data and determine relationships between different determinants and tax compliance. The results suggest that social norms and tax morale significantly influence taxpayers' compliance attitudes and behaviors in Croatia.
Addressing international corporate tax evasion an analysis of the oecd acti...Florian Marchal
This presentation aims to describe the issue around the international tax standards which are not adapted to the ongoing changes in the economy, creating loopholes and opportunities for base erosion and profit shifting. Such issue is currently being tackled and is taking place in a context where the OECD established the BEPS action plan.
This work is based around the following research question: Is the BEPS initiative an appropriate approach to harmonize the international tax system and consequently reduce base erosion and profit shifting?
Director: Professor Jean-Pierre De Laet
Assessor and jury president: Professor Pascal Minne
Living and Working in Finland, presented by EURESEURES
Living and Working in Finland provides information for EU citizens seeking jobs in Finland. Finland has a population of 5.3 million, with most citizens being Finnish or Swedish speakers. The largest industries are health care, services, and education, which sometimes experience labor shortages. Unemployment was 7.3% in 2010. Common jobs include nurses, teachers, and sales roles. Public services are free for EU citizens, who can search for jobs on websites like mol.fi and eures.europa.eu. Housing rents vary widely but average 400-700 euros for a two-bedroom apartment. Tax rates are progressive up to 26.5% of income on average salaries.
Vat revenue and state investment spending in nigeria, 1994 2010.Alexander Decker
This study examines the relationship between VAT revenue and state investment spending in Nigeria from 1994 to 2010. Time series data on VAT revenue and state investment expenditure were collected from the Central Bank of Nigeria. Unit root tests and cointegration analysis were conducted to determine the long-run relationship between the variables. Vector error correction modeling was also used to analyze the causal link between VAT revenue and state investment spending. The results showed there is a long-run bidirectional causal relationship between the two variables, indicating they influence each other both in the short-run and long-run.
Why Company Does Tax Avoidance? Evidence from a Manufacturing Company in Indo...inventionjournals
: The problem of this research is corporate social responsibility, profitability, independent Commissioners, and the ratio of Tobin q effect on tax avoidance. With the goal of obtaining empirical evidence whether corporate social responsibility, profitability, independent Commissioners, and the ratio of Tobin q effect on tax avoidance. The study sample as many as 34 companies manufacturing in the Jakarta Stock Exchange of 141 existing manufacturing companies The results Showed that CSR, profitability, independent Commissioners, and Tobin's q ratio has a significant effect on tax avoidance. While partially, independent directors, and Tobin's q ratio have no significant effect on tax avoidance, and tax avoidance Significantly Affects
Regulation of Entry and Innovative Entrepreneurship - Matteo ConsonniMatteo Consonni
This document analyzes how entry regulation policies in European countries influenced the number of start-ups supported by EU Cohesion Policy funds between 2007-2013. It hypothesizes that countries with lower entry regulation, like the UK, supported more start-ups than highly regulated countries like Italy. Both quantitative and qualitative analyses were conducted. The quantitative analysis found moderate to weak negative correlations between entry regulation indicators and start-ups supported, supporting the hypothesis. The qualitative analysis interviewed entrepreneurs in Italy and the UK, finding that entry regulation discouraged starting businesses in Italy but not the UK. Overall, the study concludes that entry regulation can hamper entrepreneurship, and less regulation may better support innovation and economic growth.
Germany provides several incentives for investment including a central location, skilled workforce, and a 15% corporate tax rate. The most common legal business structure is a GmbH, which offers limited liability. Germany has a comprehensive social security and labor system where both employers and employees contribute monthly. Taxes include a solidary surcharge, trade tax, personal income tax, VAT, inheritance/gift tax, and real estate transfer tax.
This document discusses the influence that the Big Four accounting firms (Deloitte, PwC, EY, and KPMG) have on EU tax policy through various channels. It notes that despite evidence that these firms facilitate corporate tax avoidance, they continue to advise the EU on tackling tax avoidance through positions on advisory groups and by receiving millions in public contracts. The document also provides two case studies that illustrate how the Big Four and multinational corporations lobby the EU to weaken proposed transparency rules and country-by-country reporting. It concludes that the Big Four have conflicts of interest due to their role in tax avoidance, and should be removed from advising the EU on related policy.
Making fundamental tax reform happen_BrysBert Brys
This document summarizes a paper that discusses strategies for implementing fundamental tax reform. It identifies obstacles to tax reform related to balancing efficiency and equity considerations, revenue concerns, and tax avoidance. International rules and commitments can also constrain reform options. The paper explores how to overcome such obstacles, including balancing different policy objectives, assessing dynamic redistributional impacts, and using strategies like broadening tax bases and keeping rates low to minimize avoidance opportunities.
This document provides an overview and analysis of formulary apportionment as a method for distributing a common consolidated corporate tax base among EU member states. It discusses the key considerations in designing an apportionment formula, including whether to include sales and intangible property. It also applies game theory to analyze the choices facing the EU in selecting a formula. The document examines the challenges the European Commission faces in developing a formula that satisfies principles of simplicity, minimizes manipulation, distributes income fairly, and does not negatively impact tax competition among member states.
This paper reviews the literature on optimal taxation of labour income and the empirical work on labour supply and the elasticity of taxable income in Sweden. It also presents an overview of Swedish taxation of labour income, offers calculations on the development in effective marginal tax rates and participation tax rates, and estimates, using the difference-indifferences method, the impact of tax incentives on employment rates of elderly workers. After this background, we ponder possibilities for reforming the Swedish tax system to
improve its labour market impacts. We suggest better targeting the earned income tax credit at families and low-income workers, lowering the top marginal tax rates, and maintaining the tax incentives for older workers.
This document summarizes a study examining fundamental reforms to personal income tax systems in OECD countries over the last two decades. It finds that almost all reforms have reduced tax rates while broadening the tax base. It examines trends in the taxation of labor and capital income. The study also analyzes the main drivers of tax reform, including raising revenue, restoring efficiency, maintaining fairness, and reducing complexity. It evaluates different types of personal income tax systems - comprehensive, dual, and flat taxes - in terms of principles of sound tax policy. Finally, it discusses recent tax reform proposals and experiences in OECD countries.
Applications of EU Fiscal Harmonization Plans in BelgiumPhilippe Soweid
This document discusses the potential challenges that EU fiscal harmonization plans may pose for Belgium given its unique fiscal rules. It begins by outlining the EU's goals of fiscal harmonization to reduce tax avoidance among member states. It then examines two of Belgium's key fiscal policies - the notional interest deduction and excess profit scheme. While the notional interest deduction mechanism is not inherently incompatible with EU law, it can enable tax avoidance when used by foreign companies. The excess profit scheme was recently ruled illegal by the EU for violating state aid rules. The document considers how Belgium may need to adapt its fiscal policies if the EU pushes forward with harmonization reforms.
This document summarizes a working paper that develops a new tax measure called the Tax Attractiveness Index. The index is intended to provide a more comprehensive picture of a country's tax environment compared to existing measures like statutory tax rates. It incorporates 16 different tax factors related to corporate taxation, such as the statutory tax rate, taxation of dividends/capital gains, withholding taxes, group taxation rules, tax treaties, and more. Methods are described for quantifying each factor on a scale of 0 to 1, with higher numbers indicating more favorable tax conditions. The index is calculated for 100 countries from 2005 to 2009. The paper aims to use this new measure to better understand differences in tax attractiveness across countries and regions over time
1- International accounting standards - a "starting point" for a common european tax base? Prof. Dr Wolfgang Schön / 2 - Article: the david r. tillinghast lecture: the odd couple: a common future for financial and tax accounting? / 3 - Accounting for income taxes according to international financial reporting standards - Dave Santerre / 4 - Book tax conformity for financial instruments-Yoram Keinan / 5 - Cross-Border intra-group hybrid finance: a comparative analysis of the legal approach adopted by Brazil, the United Kingdom and the United States / 6 - IAS 37 and tax law-Eli Gilbai / 7 - Inter-relationship between accounting and taxation-india / 8 - Reilly v. The Queen / 9 - Tax accounting in germany – an outline
10 - Taxation versus ifrs investment property as a test case-Eli Gilbai / 11 - Thor power tool co. v. c.i.r. commissioner
Sumário:
1- International accounting standards - a "starting point" for a common european tax base? Prof. Dr Wolfgang Schön / 2 - Article: the david r. tillinghast lecture: the odd couple: a common future for financial and tax accounting? / 3 - Accounting for income taxes according to international financial reporting standards - Dave Santerre / 4 - Book tax conformity for financial instruments-Yoram Keinan / 5 - Cross-Border intra-group hybrid finance: a comparative analysis of the legal approach adopted by Brazil, the United Kingdom and the United States / 6 - IAS 37 and tax law-Eli Gilbai / 7 - Inter-relationship between accounting and taxation-india / 8 - Reilly v. The Queen / 9 - Tax accounting in germany – an outline
10 - Taxation versus ifrs investment property as a test case-Eli Gilbai / 11 - Thor power tool co. v. c.i.r. commissioner
- Tax systems within the European Union are highly divergent, with corporate tax rates ranging from 12% in Ireland to 33% in France and Belgium.
- France has higher nominal tax rates and narrower tax bases compared to other EU countries, resulting in high tax burdens. Ireland has lower overall tax burdens with a strong reliance on direct taxes like income tax.
- Ireland's 12.5% corporate tax rate has helped attract significant foreign direct investment, though economists disagree on its overall impact on Ireland's growth. France finances higher public services through taxes.
There is a lack of clear evidence of the ways in which dividend taxation affects dividend distributions and investment since the evidence is based mainly on the behaviour of large listed companies. This paper utilises a large register-based panel data set, where the vast majority of firms are small and medium-sized enterprises, to examine the responses to the Finnish dividend tax increase of 2005. This reform creates a useful opportunity to measure enterprise behaviour, since it involves exogenous variation in the tax treatment of different types of firms. The results, based on differences- in-differences estimation and matching methods, indicate that dividends declined somewhat in closely held corporations that faced a tax increase, perhaps for timing reasons, while investments did not decline. These findings are more in line with the new rather than the old view of dividend taxation.
The International Tax Competitiveness Index (ITCI) seeks to measure the extent to which a country’s tax system adheres to two important aspects of tax policy: competitiveness and neutrality.
A competitive tax code is one that keeps marginal tax rates low. In today’s globalized world, capital is highly mobile. Businesses can choose to invest in any number of countries throughout the world to find the highest rate of return. This means that businesses will look for countries with lower tax rates on investment to maximize their after-tax rate of return. If a country’s tax rate is too high, it will drive investment elsewhere, leading to slower economic growth. In addition, high marginal tax rates can lead to tax avoidance.
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Corporate tax policy_and_incorporation_in_the_eu
1. ISSN 1725-7557
European Commission — Taxation and customs union
Taxation papers
Corporate tax policy and incorporation in the EU
WORKING PAPER
NO 11 – 2007
4. 1 Introduction
During the past two decades, statutory corporate tax rates in Europe have fallen considerably.
This has induced fears of a race-to-the-bottom in the European Union.1 This could ultimately
erode corporate tax revenues and impose a threat to the financing of European welfare states.
However, despite the reduction in corporate tax rates, corporate tax revenues have maintained
remarkably stable over the past decades. A number of explanations have been put forward for
these diverging developments. First, Devereux et al. (2002) and Griffith and Klemm (2004)
show that corporate tax rate reductions have been accompanied by base broadening policies in
many OECD countries, e.g. by means of reduced investment tax credits, loss offset rules,
interest deductibility and fiscal depreciation. Second, Auerbach (2007) suggests that losses
can partly explain the rise in the implicit tax rate on corporations in the United States. Third,
Becker and Fuest (2007) argue that pre-tax profitability in the economy has increased in light
of globalisation, thus causing higher profit shares and a broadening of the corporate tax base.
Finally, Devereux et al. (2004) and Auerbach (2007) suggest that a rising share of the
financial sector in the economy is a potential explanation for the growing share of corporate
profits in the economy.
This paper explores another possible explanation for the combination of falling
corporate tax rates and stable corporate tax revenues, namely the growth in the corporate
share of total pre-tax profit in the economy. Some authors find that the corporate share of
business income has indeed increased during the past decades in a number of countries
(Weichenrieder (2005), Sørensen (2007)). An important question is whether this growth in the
corporate share of business income has been caused by reductions in the corporate tax rate.
Entrepreneurs face a choice between a (closely held) corporation and other legal forms of
doing business, such as the (sole) proprietorship. Lower corporate tax rates may have induced
them to switch to the corporate form, which then broadens the corporate tax base. If this is the
case, the revenue consequences of tax competition in corporate tax rates will not show up in
corporate tax revenues but in personal tax revenues. This will shed new light on the tax
competition debate as the adverse revenue implications of tax competition can be more severe
than when only corporate tax revenues are considered. Moreover, it suggests that tax
competition undermines the fundamental reason for the existence of the corporate tax, which
is to serve as a backstop for the personal income tax. It would imply that there is reason to
1
See e.g. Nicodème (2007) for a review of the literature on tax competition.
2
5. worry about tax competition, since lower corporate tax rates do erode the financial basis of
the public sector and of its redistributive policies in particular.
US evidence suggests that income shifting between personal and corporate tax bases is
indeed significant (Gordon and Slemrod, 2000; Gordon and MacKie-Mason, 1994; MacKie-
Mason and Gordon, 1997; Goolsbee, 1998; 2004). Fuest and Weichenrieder (2002) explore
the share of corporate savings in total private savings in the OECD. For Europe, evidence is
scarce. This paper contributes to the literature by empirically exploring income shifting in
Europe through the choice of legal form. Moreover, most of the earlier studies rely on time
series data where it appears difficult to identify the impact of taxes due to small variations.
Instead, we use panel data with considerably more variation. For the share of the corporate
sector in total business activity, we take data from Eurostat for 17 European countries, 60
sectors and a maximum coverage of six years between 1997 and 2003.
This paper is organized as follows. Section (2) formulates our predictions on income
shifting between personal and corporate tax bases. Section (3) describes the data. Section (4)
presents our empirical analysis and discusses the implications of income shifting for the
corporate tax-to-GDP ratio. Finally, section (5) concludes.
2. Corporate taxation and income shifting
MacKie-Mason and Gordon (1997) and Goolsbee (1998; 2004) propose a simple model for
the choice between sole proprietorship and incorporation. The models suggest that the choice
of legal form of an enterprise is determined by the net tax loss from incorporation compared
to the net non-tax benefit from incorporation. Regarding taxation, sole proprietorships are
subject to the personal income tax. Corporate firms are subject to the corporate income tax
and the income tax that applies to either profit distributions or realized capital gains, thereby
taking into account double-tax relief if appropriate. A business organized in the corporate
form may also collect non-tax benefits. These can be related to the limited liability of
incorporation, which reduces the individual risk of doing business. Indeed, limited liability
means that the entrepreneur does not risk his individual assets or income when taking part in
the firm, since he is only liable for the capital invested in the company. Moreover, corporate
businesses may have an advantage in attracting capital due of the public trading of shares.
Incorporation may also bring along non-tax costs related to capital requirements and legal
obligations for companies in the corporate form. The net non-tax benefits from incorporation
3
6. may differ across firms. The models suggest that an entrepreneur will choose the corporate
form as long as the non-tax benefits exceeds the net tax loss of the corporate form. Assuming
a distribution for the non-tax benefit, the models derive an expression for the share of firms
that will optimally choose the corporate form. In the empirical analysis, they estimate the
following equation for the corporate share of business in the economy (CORP):
CORP = 0 + 1 (Tp – Tc) + 2X + (2.1)
where Tp and Tc represent, respectively, the personal and corporate income tax rates
and X is a vector of control variables. We expect a positive sign for 1.
Empirical research on (2.1) refers primarily to the United States. Gordon and MacKie-
Mason (1994) use data on US firms between 1970 and 1986 to explore the importance of tax
and non-tax factors in the choice of organisational form. They conclude that non-tax factors
are considerably more important than taxes, implying that the efficiency cost of the tax
distortion is relatively small. MacKie-Mason and Gordon (1997) use data on the corporate
share of capital between 1959 and 1986 for the US and find that the tax differential between
personal and corporate taxes exerts a significant effect on the corporate capital share, but only
for firms that make positive profits. On aggregate, they find a very small effect. Thus,
MacKie-Mason and Gordon (1997) conclude that non-tax factors are likely to be dominant in
the choice of legal form by firms, rather than tax factors. Using time series data for the
corporate share of capital between 1900 and 1939, Goolsbee (1998) reports a similar effect as
Mackie-Mason and Gordon (1997).
Goolsbee (2004) argues that the earlier US studies might have problems in identifying
the impact of taxes on organizational form since the time series variation in tax rates has been
limited. Moreover, at the same time when tax rates were modified, other components of the
tax system changed as well, which renders it difficult to identify the impact of the tax on
organizational form. To allow for more variation in tax rates, Goolsbee (2004) adopts cross-
section data for US States and industries in the retail trade sector in 1992. He explores several
indicators for the size of the corporate sector, including the share of companies, the
employment share and sales. The estimates suggest a much larger impact of corporate taxes
on the rate of incorporation: raising the corporate tax rate by .1 reduces the corporate share of
firms by 0.25 and the corporate share of sales and employment by 0.07 to 0.15.
4
7. Studies for Europe are scarce. An exception is Fuest and Weichenrieder (2002), who
explore the impact of corporate and personal income taxes on the division of interest income
between the corporate and non-corporate sector for 17 OECD countries between 1985 and
1997. They find that the difference in tax rates exerts a significant and strong effect on the
share of corporate savings in total savings. They do not analyze the impact of corporate taxes
on the corporate share of business. Alstadsæter (2003) explores income shifting under the
Norwegian split model, which is part of the dual income tax system. She shows that the
corporate organisational form serves as a tax shelter for high income entrepreneurs under the
split model. While she provides time series evidence for Norway that is consistent with
income shifting towards the corporate form, she does not explicitly estimate the impact of
taxes on incorporation.
3. Data
This section demonstrates our data. The appendix provides more information on the precise
data sources and definitions. The data come from Eurostat on business demography in Europe
for 17 European countries, 6 years between 1997 and 2003 and 60 sectors (see Schrör, 2005,
for a description). It provides information on the number of firms in three legal forms:
• Personally owned firms that have no limit to personal liability. It reflects the sole
proprietorships (SP).
• Private or publicly quoted joint stock companies with limited liability (LL) for those
owning shares. This category captures corporations.
• Partnerships (PA), which consists of personally owned limited and unlimited liability
partnerships. Included are also other level forms such as co-operatives and
associations.
To arrive at corporate shares, we divide the enterprises that are registered as limited
liability (LL) companies by the sum of companies with limited liability (LL) and personal
LL
liability firms (SP), i.e. CORP = . Partnerships is a hybrid category of companies
LL + SP
that can be taxed under either the corporate income tax regime or the personal income tax and
we therefore exclude them in this definition.
The data contain information on the number of both active firms and enterprise births.
Moreover, apart from the number of firms, there are also data on employment in each of the
5
8. three legal forms, both for active and new firms. We therefore look at four indicators for the
share of the corporate sector in the economy (CORP):
• The corporate share in the total number of active firms.
• The corporate share in the total number of new firms.
• The corporate employment share of active firms.
• The corporate employment share of new firms.
Table 3.1: Degree of incorporation per country (CORP).
Number of firms Employment
(1) New (2) Active (3) new (4) active
Switzerland 54.4% 43.2% 67.3% 76.1%
Czech Republic 12.1% 13.1% 35.0% 62.9%
Denmark 22.1% 28.6% 35.1% 78.4%
Estonia a 72.3% 82.7% 93.8% 96.8%
Spain 33.8% 33.5% 51.9% 75.5%
Finland 28.8% 47.2% 52.6% 92.5%
United Kingdom 61.0% 56.9% 73.0% 89.5%
Hungary 23.0% 25.9% 48.7% 72.5%
Italy 19.9% 17.3% 31.3% 64.3%
Lithuania b 45.0% 46.6% 70.9% 80.7%
Luxembourg 76.2% 69.3% 84.0% 91.4%
Latvia c 49.9% 65.0% 79.3% 92.3%
Netherlands 28.8% 41.4% 43.1% 87.2%
Norway 29.7% 49.0% 48.3% 87.7%
Sweden 25.9% 46.3% 35.8% 87.3%
d
Slovenia 26.1% 34.3% 37.9% 73.2%
Slovakia 18.0% 20.7% 45.7% 71.8%
Weighted average 36.8% 35.7% 58.6% 81.8%
The data are for 1998-2003 (except CZ, EE, HU, LT, LV, RO, SI, SK: 2000-2003; CH: 2003; DK: 1998-2001;
NL: 1999-2003). The average is the average across sector and time dimensions for each country. The degree of
incorporation is the ratio of new (or active) firms which are incorporated on the total number of new (or active)
firms. Alternatively, the share of employment is the ratio of the number of people employed in new (or active)
firms which are incorporated on the number of people employed in all new (or active) firms. Sole proprietorships
a
are not included in the data for Portugal (from 2001) and Romania and are therefore eliminated from the table.
b
For Estonia, only sole proprietorships with at least 20 employees are included. In Lithuania, self-employed
entrepreneurs that do not have employee are not covered by the dataset. c For Latvia, the natural persons are
d
included from 2002. For Slovenia, additional forms of natural persons are included from 2002.
Table 3.1 reports the mean corporate share of business for the four indicators per
country.2 It shows that the corporate share in terms of the number of companies (36% for
active and 37% for new firms) is substantially smaller than the corporate share measured in
terms of employment (82% for active firms and 59% for new firms). Hence, corporations on
2
Portugal and Romania do not report sole proprietorships and are thus eliminated from the sample. For Estonia,
Latvia and Slovenia, the data contain a structural break in 2001 due to a different way of data collection. We
control for this via dummy variables in the regressions.
6
9. average employ more people than companies in the non-corporate form. This holds in
particular for active enterprises. Across countries, the degree of incorporation differs widely.
For instance, in terms of the number of active companies, it moves from 13% in the Czech
Republic to 69% in Luxembourg. In most countries, the corporate share is somewhere
between 20 and 50%. In terms of employment, the corporate share of active firms exceeds
60% in all countries and is even over 90% for Finland, and Luxembourg.
Table 3.2: Degree of incorporation per sector (CORP).
Number of firms Share of employment
Sector NACE New Active New Active
Mining C 67.3% 66.6% 88.9% 94.9%
Manufacturing D 40.6% 44.5% 77.5% 92.1%
Electricity, gas, water E 69.0% 80.9% 91.0% 99.6%
Construction F 29.4% 31.1% 51.4% 71.3%
Retail G 31.9% 31.0% 50.2% 76.3%
Hotels and restaurants H 26.2% 24.8% 46.2% 69.3%
Storage and comm.. I 30.9% 26.9% 56.8% 86.2%
Financial J 38.6% 41.3% 69.5% 94.5%
K
Estate and business (excp. K7415) 49.2% 46.5% 66.4% 81.0%
Education M 26.8% 35.9% 46.7% 90.7%
Health and social N 20.6% 18.5% 53.2% 77.8%
Other social activities O 31.0% 33.2% 56.6% 76.4%
Weighted average 36.8% 35.7% 58.6% 81.8%
See notes for Table 3.1.
Table 3.2 presents the mean of the four measures for the degree of incorporation per
sector. In general, we observe that the incorporation rate in terms of company numbers is
relatively high in mining (67% of active firms) and in utilities (81%). It is small in
construction and many service sectors (Hotels and restaurants, Health and social work, Social
activities, Retail). In terms of employment, some of the service sectors show a higher
corporate share, e.g. in education and financial.
To see how partnerships influence our results, we will also consider two alternative
shares for the decree of incorporation, namely a share that allocates partnerships to either non-
corporate or corporate firms, i.e.
LL
CORP 2 =
LL + SP + PA
or
LL + PA
CORP3 =
LL + SP + PA .
7
10. Table 3.3 shows the values of these alternative measures of the degree of
incorporation for existing firms per country and per sector. The measure of incorporation is
most affected by partnerships in the countries and sectors where its share is the highest such
as the Netherlands, Hungary, Italy, Sweden UK, and Denmark, as well as utilities and hotels
and restaurants. Although this may affect levels, a correlation analysis shows that the
correlation between CORP1 and CORP2 is 93.6% and 91.5% for new and active firms
respectively (both significant at 1%-level). The respective correlations between CORP1 and
CORP3 are 96.9% and 96.4% (both also significant at 1%-level).
Table 3.3: Alternative measures of degree of incorporation of existing firms.
Country/sector CORP1 CORP2 CORP3 Share partnerships
Switzerland 43.2% 40.4% 46.9% 6.5%
Czech Republic 13.1% 13.0% 13.7% 0.7%
Denmark 28.6% 23.5% 41.5% 18.0%
Estonia 82.7% 81.1% 83.0% 2.0%
Spain 33.5% 30.9% 38.8% 7.9%
Finland 47.2% 38.9% 56.4% 17.4%
United Kingdom 56.9% 46.7% 64.6% 17.9%
Hungary 25.9% 19.4% 44.4% 24.9%
Italy 17.3% 13.7% 34.5% 20.9%
Lithuania 46.6% 45.0% 48.5% 3.6%
Luxembourg 69.3% 64.9% 71.2% 6.3%
Latvia 65.0% 62.0% 66.6% 4.5%
Netherlands 41.4% 31.0% 56.1% 25.1%
Norway 49.0% 44.2% 54.0% 9.8%
Sweden 46.3% 37.8% 56.2% 18.4%
Slovenia 34.3% 32.8% 37.2% 4.4%
Slovakia 20.7% 20.5% 21.5% 1.0%
Mining 66.6% 54.6% 72.6% 18.0%
Manufacturing 44.5% 37.3% 53.4% 16.1%
Electricity, gas,
water 80.9% 52.3% 87.6% 35.3%
Construction 31.1% 26.8% 40.6% 13.8%
Retail 31.0% 26.0% 42.0% 15.9%
Hotels and
restaurants 24.8% 18.7% 43.3% 24.7%
Storage and comm.. 26.9% 24.1% 34.4% 10.2%
Financial 41.3% 37.2% 47.1% 9.9%
Estate and business 46.5% 40.4% 53.6% 13.3%
Education 35.9% 28.9% 48.4% 19.5%
Health and social 18.5% 15.8% 30.6% 14.8%
Other social
activities 33.2% 27.4% 44.9% 17.5%
Weighted average 35.7% 30.2% 45.5% 15.3%
See notes for Table 3.1.
8
11. Tax variables
The choice regarding legal form primarily applies to small firms. For most of these firms, the
choice involves a discrete decision. Therefore, not the marginal tax on business, but the
average effective tax burden will matter. As argued by Mackie-Mason and Gordon (1997), the
statutory corporate tax on small business is a good approximation for the average tax burden
if profits are large. As the income from entrepreneurial effort and the labour that an
entrepreneur supplies to his company is generally included in the business income,
profitability indeed tends to be high. Hence, the statutory corporate tax rate is likely to be a
good approximation of the average effective tax burden on the income of small businesses.
Table 3.4: Tax rates per country in 2003.
(2)
(1)
(3) (4)
Dividend Top personal
CT for small
relief Dividend tax income tax
businesses
system
Belgium 24.28% DIT 15% 53.5%
Switzerland 21.74% ITC 35% 40.46%
Czech Republic 31% DIT 15% 32%
Denmark 30% DTC 28% 59.7%
Estonia 0% Exemption 26% 26%
Spain 30% ITC 15% 45%
Finland 29% DIT 29% 54%
United Kingdom 19% 2/8 ITC 0% 40%
Hungary 19.64% DIT 20% 40%
Italy 38.25% DIT 12.5% 45%
Lithuania 13% None 15% 33%
Luxembourg 28.3% DTC 20% 38.95%
Latvia 15.2% DIT 0% 25%
Netherlands 29% DTC 25% 52%
Norway 28% ITC 0% 47.5%
Portugal 22% 50% exem. 15% 40%
Romania 25% DIT 5% 40%
Sweden 28% DIT 30% 55%
Slovenia 25% 60% DTC 25% 50%
Slovakia 25% DIT 15% 38%
Average 24.1% 17.3% 42.8%
Source: Structures of taxation systems, IBFD, OECD tax database and own calculations. The statutory rates
include all local taxes and surcharges. DIT: Dual Income Tax, ITC: Indirect Tax Credit, DTC: Direct Tax Credit.
Some countries adopt progressive systems for the corporate tax by applying reduced
rates for low levels of profit. Since our focus is on small businesses, the reduced rates will
probably determine the impact on the choice of legal form. We therefore use the reduced rates
for Belgium, Latvia, Lithuania, Luxembourg, the Netherlands, Portugal, Spain and the
9
12. intermediate rate (20% or 19%) for the UK as our measure for the corporate income tax; the
other countries do not feature reduced rates. The corporate tax rate per country for 2003 is
presented in the first column of Table 3.4. We see that the mean corporate tax on small
business is 24%. It ranges from zero for Estonia to 38.25% in Italy.
In most countries, the corporate tax is not the only tax that bears on equity income
from corporations. For instance, under the classical system of corporate income taxation, the
personal income tax (on profit after corporate tax) should be added to the tax levied at the
corporate level. In Europe, countries adopt a variety of regimes to avoid such double taxation
of corporate income, including dual income tax systems (with reduced rates on equity
income), indirect tax credits, direct imputation credits and full exemptions. The second
column of Table 3.4 shows this for 2003. Still, it is unclear to what extend this tax on
dividends affects the effective tax burden on the corporate form, since small companies
usually have other ways to distribute profits. Mackie-Mason and Gordon (1997), for instance,
determine the effective personal tax on equity income by a weighted average of the tax on
dividends and the tax on capital gains, where the weight is determined by the average
dividend payout ratio. The weight on the capital gains tax is adjusted as tax deferral and the
tax exemption of some types of capital gains provide relief. Mackie-Mason and Gordon
(1997) compute the accrual equivalent of these gains at more than ¾ of the capital gains.
Hence, capital gains taxes hardly seem to play a role for the personal tax on equity income.
Goolsbee (2004) argues that this means that a zero tax on equity income at the personal level
is probably the most accurate since small businesses usually pay very few dividends. This is
supported by recent evidence on dividend payout ratios of De Angelo et al. (2004) and Von
Eije and Meggison (2006). We therefore take the corporate tax as a benchmark indicator for
the tax on the corporate sector in estimating equation (2.1). As a check on the robustness of
this assumption, we also explore a regression in which the dividend tax is added to it.
Thereby, we assume that 30% of net equity income (i.e. the average dividend payout ratio in
the EU according to Von Eije and Meggison (2006)) is taxed under the dividend tax as
reported in the third column of Table 3.3. Thereby, we also take account of the dividend relief
system.
For the personal income tax that applies to sole proprietorships, we follow Gordon and
Mackie-Mason (1997) and Goolsbee (2004) by using the top personal income tax rate in
regressions for organizational form. It is presented in the fourth column of Table 3.3. It ranges
in 2003 from 25% in Latvia to almost 60% in Denmark.
10
13. 4. Empirical analysis
Table 4.1 shows our regression results for the degree of incorporation according to equation
(2.1). In the regressions, we include sector dummies and country or year dummies if structural
breaks have been reported in the data. The table shows the impact of the difference in the
personal tax and the corporate tax on the four indicators for the degree of incorporation. The
upper part of the table uses all information available for each of the four indicators. The
number of observations differs, however, as fewer observation are available for the
employment shares. The lower part of the table uses the panel for which information is
available for all four indicators. This allows us to compare the regressions across the four
indicators.
Table 4.1 Regression results on taxation and incorporation
(1) (2) (3) (4)
Degree of Share of Degree of Share of
incorporation of incorporated firms incorporation of incorporated firms
new firms in total employment active firms in total employment
created by new in active firms
firms
Different panels
Intercept .326*** .559*** .326*** .744***
(.013) (.016) (.012) (.014)
Difference in taxes .554*** .602*** 1.022*** .817***
(.055) (.083) (.048) (.070)
Adj-R² .423 .346 .456 .345
Number obs. 3,325 2,383 3,617 2,069
Single panel
Intercept .345*** .576*** .311*** .744***
(.015) (.016) (.014) (.014)
Difference in taxes .554*** .543*** 1.023*** .817***
(.061) (.084) (.060) (.070)
Adj-R² .292 .298 .338 .345
Number obs. 2,069 2,069 2,069 2,069
The data are for 1997-2003. The degree of incorporation is the number of firms in limited liability form divided
by the number of firms in limited liability or in sole proprietorship form. All regressions use a linear model and
include industry dummies as well as dummies to correct for country and time structural breaks in the data
collection. The difference in taxes is computed as the difference between the top marginal personal income tax
rate and the statutory corporate tax rate applicable to small companies. The single panel consist of a panel in
which information for each of the four indicators is present to allow for comparison across indicators. Detailed
variable definitions and data sources are given in Appendix A. White Heteroskedasticity-consistent errors are
given in parentheses. *, ** and *** indicate significance levels of 10, 5 and 1 percent, respectively.
We see from Table 4.1 that the coefficient for the tax difference is positive and
significant at the 1% confidence level for each indicator. This is consistent with income
shifting from the personal to the corporate tax base in response to a lower corporate tax
11
14. relative to the personal tax. The first two columns refer to the incorporation rate of new
companies. The lower part of the table shows that the magnitude of the tax effect is very
similar for the firm and employment shares if the panel is the same. Apparently, taxes do not
affect large and small newly created firms differently in their organizational form choice,
possibly because most newly created firms are small. The third and fourth columns of Table
4.1 refer to active companies. These coefficients are larger than for the new firms, which
suggests that existing firms are more responsive in their legal form choice than are newly
created enterprises (which may start as small proprietorships and later change into the
corporate form). For active firms, the coefficient for the company share is larger than for the
employment share. It suggests that small active firms are more responsive to taxes than large
active firms. Many large firms probably do not consider the non-corporate form due to large
non-tax benefits of incorporation.
To better understand what the marginal coefficients in Table 4.1 imply for corporate
tax policy, we compute the elasticity of the corporate tax base. The underlying assumption is
that the corporate shares of (new or active) firms or employment serve as good indicators for
the corporate share of total business income. As larger firms are more likely to be
incorporated than small firms, the employment share probably better serves this purpose than
the number of firms.3 To obtain the semi-elasticities of the tax base, we divide the marginal
coefficients for the tax variable in the upper part of Table 4.1 (i.e. using all available
information per indicator) by the respective sample means of the corporate income share, as
reported in Table 3.1. The resulting semi-elasticity measures the percentage change in the
corporate tax base in response to a 1%-point change in the tax differential between corporate
and the non-corporate sector. If we do this, we find the following semi-elasticities of the
corporate tax base: 1.5 for the number of new firms; 2.9 for the number of existing firms; 1.0
for the employment shares of both new and existing firms.
The semi-elasticity of the tax base can be compared to previous studies. Goolsbee
(2004) adopts the same specification as we do and considers alternative indicators for the
corporate share of business, including firms, employment and sales. His basic results suggest
a tax base elasticity of 1.1 for the number of firms and 0.4 for employment and sales. This is
somewhat smaller than our elasticities. Yet, the results are consistent with Goolsbee’s finding
that a smaller response is found for the employment share than for the firm share. MacKie-
3
Goolsbee (2004) reports corporate shares of sales and employment and finds that these are very similar.
12
15. Mason and Gordon (1997) use a slightly different specification in that they scale their tax
term by (1-Tc). Moreover, they consider the share of corporate assets. With a corporate share
of 2/3, their semi-elasticity would be somewhere between 0.03 and 0.2, which is much
smaller than what we find. Gordon and Slemrod (2002) consider income shifting in the US.
Their findings suggest that a 1%-point increase in the tax differential between corporate and
personal taxes increases reported labour income by 3%. Fuest and Weichenrieder (2003)
conclude that a 1%-point reduction in the corporate tax rate increases the fraction of
corporate savings in total private savings by some 2.6%. Our estimates are smaller than these
latter estimates.
13
16. Table 4.2. Regressions on degree of incorporation per sector.
(1) (2) (3) (4) (5) (6) (7) (8) (9) (10) (11) (12)
Mining Elec. gas water Manufact. Construct. Retail Storage&com. Financial Estate&bus. Computer R&D Professions Social
Intercept .706*** .5683*** .340*** .135*** .181*** .368*** .459*** .486*** .248*** .132** .269*** .205***
(.076) (.062) (.024) (.034) (.018) (.049) (.090) (.052) (.028) (.060) (.026) (.035)
Difference -.389 1.199*** .450*** .577*** .443*** .444** 1.215*** .524** .821*** 1.633*** .504*** .441**
in taxes (.386) (.297) (.119) (.160) (.087) (.229) (.404) (.255) (.135) (.259) (.129) (.175)
Adj-R² .190 .212 .375 .834 .565 .311 .109 .254 .359 .353 .419 .396
Number obs. 81 87 740 56 551 317 154 158 376 55 438 312
The data are for 1997-2003. The degree of incorporation is the number of new firms in limited liability form divided by the number of new firms in limited liability or in sole
proprietorship form. All regressions use a linear model and include dummies to correct for country and time structural breaks in the data collection. The difference in taxes is
computed as the difference between the top marginal personal income tax rate and the statutory corporate tax rate applicable to small companies. Detailed variable definitions
and data sources are given in Appendix A. White Heteroskedasticity-consistent errors are given in parentheses. *, ** and *** indicate significance levels of 10, 5 and 1
percent, respectively.
Table 4.3. Robustness regressions on degree of incorporation.
(1) (2) (3) (4) (5) (6) (7)
14
Semi-log Log-log Squared tax Alt. tax Lead tax Dummies Div. tax
Intercept -1.493*** -.498*** .248*** .313*** .320*** .006 .386***
(.047) (.043) (.016) (.014) (.014) (.039) (.012)
Diff in tax 2.343*** .287*** 2.319*** .565*** .572*** 3.117*** .314***
(.204) (.019) (.223) (.049) (.053) (.165) (.054)
diff in tax2 -6.113*** (.746)
Adj-R² .325 .352 .435 .429 .478 .455 .412
No, obs. 3,282 3,220 3,325 3,325 2,317 3,325 3,325
The data are for 1997-2003. The degree of incorporation is the number of new firms in limited liability form divided by the number of new firms in limited liability or in sole
proprietorship form. The difference in taxes is computed as the difference between the top marginal personal income tax rate and the statutory corporate tax rate applicable to
small companies. All regressions use a linear model, except for regressions (1) and (2). All regressions also include industry dummies as well as dummies to correct for
country and time structural breaks in the data collection. In addition, regression (6) contains all time and country fixed effects. Regression (3) also includes the squared value
of the difference in taxes variable. Regression (4) uses use the ratio of the difference between these two rates on one minus the corporate tax rate as independent variable.
Regression (5) uses the lead of this difference in taxes variable. Regression (7) uses the difference between the top personal income tax rate and the effective tax rate on
distributed profit, taking into account taxation at both the corporate and personal level. Detailed variable definitions and data sources are given in Appendix A. White
Heteroskedasticity-consistent errors are given in parentheses. *, ** and *** indicate significance levels of 10, 5 and 1 percent, respectively.
17. Table 4.4. Additional robustness regressions on degree of incorporation.
(8) (9) (10) (11) (12) (13) (14)
Random Clustering 1 Clustering 2 CORP2 CORP3 Controls Profitability
Intercept .349*** .326*** .196*** .321*** .347*** .422*** .328***
(.040) (.043) (.040) (.012) (.014) (.030) (.013)
Diff in tax .554*** .554*** .379*** .308*** .759*** .397*** .430***
(.058) (.129) (.113) (.049) (.058) (.075) (.068)
Real GDP growth .023***
(.003)
Minimum capital -.002***
(.000)
Number procedures -.007***
(.002)
Diff in Tax * real .043***
GDP growth (.014)
Adj-R² .492 .456 .376 .354 .424
No, obs. 3,325 3,325 3,325 3,337 3,337 2,928 3,325
The data are for 1997-2003. The degree of incorporation is the number of new firms in limited liability form divided by the number of new firms in limited liability or in sole
proprietorship form, except for (10) and (11). The difference in taxes is computed as the difference between the top marginal personal income tax rate and the statutory
15
corporate tax rate applicable to small companies. All regressions use a linear model. All regressions also include industry dummies as well as dummies to correct for country
and time structural breaks in the data collection. Regression (8) looks at random effects for industry and is estimated via Maximum Likelihood. Regression (9) uses
generalised least square and corrects for country and industry clustering effects. Regression (10) is estimated via Maximum Likelihood and uses a compound symmetry
structure for the covariance matrix to correct for country and industry clustering effects and Huber (1967) –White (1980) robust standard errors (asymptotically consistent
estimator, adjusted for correlations of error terms across observations). Regression (11) takes (new) partnerships into account, assuming that they are not incorporated, while
regression (12) makes the assumption that they are. Regression (13) includes several country-level controls. Regression (14) includes the interaction between the difference in
taxes and real GDP growth. Detailed variable definitions and data sources are given in Appendix A. White Heteroskedasticity-consistent errors are given in parentheses. *, **
and *** indicate significance levels of 10, 5 and 1 percent, respectively.
18. Table 4.2 presents regression results on legal form choice per sector for the number of
new firms. Again, we control for structural breaks in the data through dummies. Significant
positive coefficients (at the 5% level) are reported for all sectors but mining. The coefficients
for utilities, financial firms and R&D are large, suggesting that these firms are relatively
responsive to taxes.
Table 4.3 explores the robustness of our findings for alternative specifications, again
for the number of new firms. The regressions include single and double log specifications, a
squared tax term, and an alternative tax term that divides the tax difference by (1-Tc) as was
done by MacKie-Mason and Gordon (1997). Each of the regressions suggests a positive and
significant impact of the tax term. Computing the associated semi-elasticity of the tax base
evaluated at sample means yields values of 1.5 for the log model, 2.3 for the semi-log model
and 2.0 for the alternative tax. This fits well with semi-elasticity of 1.5 for the linear model.
The tax base elasticity in the model with the squared tax term is extremely sensitive to the tax
differential. At the sample mean of 0.187, it equals 0.1; at a tax difference of e.g. 14%, it
would equal 1.7. The fifth column presents the lead of tax variable, which captures possible
anticipation effects. It yields a positive but slightly larger coefficient for the tax term than the
original regression in Table 4.1. If we introduce country and year dummies, the sixth column
of Table 4.3 shows that the tax term remains significant and positive but the value becomes
implausibly large. As the dummies take away much of the cross-section variation that is
meant to identify the impact of taxes on legal form, we do not prefer this specification.4
Column 7 of Table 4.3 considers an alternative tax measure for corporate firms where we add
the personal tax on dividends (see section 3). Including the personal tax reduces the
magnitude of the tax term by forty percent, but the tax term remains significant at the 1%
confidence level.
Next, Table 4.4. presents additional robustness tests. First, we test for random industry
effects. Because we have three dimensions (countries, year and industry) and that industry is
an aggregate of several NACE categories, we have more than one observation per country and
industry. Therefore, our statistical package does not allow directly carrying out a Hausman
test. We go around this problem in two ways. First, we estimate random effects based on the
sub-categories of industry (NACE). With a p-value of .999, the test does not reject random
16
19. industry effects. In addition, we estimate two models with respectively fixed and random
industry effects via maximum likelihood estimation. The results of the random effect model
are reported in column (8). The coefficient for the difference in taxes is unchanged compared
to fixed effects and highly significant. The comparison of the (unreported) Akaike
Information Criteria suggests that the fixed effects model is a better one. In regression (9), we
correct for cluster effects within country and industry pairs. In particular, observations within
clusters (in one country and one industry within this country) may not be independent and
standard errors may be correlated within clusters. Regression (9) controls for this, leaving the
coefficients of interest significant. Regression (10) uses Maximum Likelihood and corrects
for both country and industry clustering and heteroskedasticity. The coefficient for the
difference in taxes decreases somewhat but remains significant. A likelihood ratio test (not
reported) indicates a significant improvement over the null model consisting of homogeneous
residual errors. Regressions (11) and (12) include partnerships in the indicator for the degree
of incorporation, either by adding partnerships to the corporate firms or to the non-corporate
firms. We see that the tax coefficient decreases compared to Table 4.1 if partnerships are
taken as unincorporated firms (11) but increases otherwise (12). It suggests that sole
proprietorships might not only shift into limited liability companies, but also into partnerships
where they might be taxed under the corporate income tax regime5. Only considering the shift
between sole proprietorship and limited liability firms may therefore underestimate the total
amount of income shifting in the economy. Yet, due to the hybrid character of the partnership
form, we do not take this regression in our computations below. The degree of incorporation
of firms may also depend on several non-tax aspects such as cost or the economic cycle. We
test those assumptions in regression (13). Real GDP growth enters positively and
significantly, indicating that a positive business cycle leads to more incorporation. The
hypothesis here is that real GDP growth might in reality be a proxy for profitability. When
entrepreneurs are more profitable, they fall into the highest (personal or corporate income)
marginal tax rates. A higher rate of GDP growth might therefore indicate that the difference
in top marginal rates may matter more, leading to more incorporation if this difference is
large. This hypothesis is tested in regression (14) in which the interaction between the
difference in taxes and real GDP growth is added. It confirms that a higher real GDP growth
4
We also analyzed other control variables that differ across countries and years, such as the interest spread and
the startup costs. These do not significantly contribute to the explanation of corporate share variations.
5
If we replicate regressions (11) and (12) with active firms instead of new ones, we observe the same effect as
the coefficients respectively become .665 and 1.010 (both significant at 1%-level).
17
20. increases the positive effect of a difference in taxes on incorporation. Back to regression (13),
the minimum capital required to start a business (measured in percentage of income per
capita) and the number of procedures required to start a business are tested as proxies for the
time and cost of creating a business. As expected, these variables enter negatively and
significantly. Including those controls slightly increases the size of the coefficient for the
difference in taxes but does not affect its significance6.
Implications for corporate tax policy
We now infer what our estimates imply for the impact of tax policies for corporate tax
revenue and the corporate tax-to-GDP ratio. Corporate tax revenue (R) equals the corporate
tax rate (Tc) times the tax base (B). In terms of changes, denoted by ¨, the impact of corporate
tax on corporate revenue can be written as:
Tc ∆B
∆R = ∆Tc B + Tc ∆B = ∆Tc B[1 + ] (4.1)
∆Tc B
In (4.1), the term ¨TcB reflects the ex-ante revenue effect from a change in the
corporate tax rate. The ex-post revenue effect would be equivalent to this if the tax base
would remain constant (i.e. if ¨B = 0). If the corporate tax base responds to changes in the
corporate tax rate, the term between square brackets on the right-hand side of (4.1) reveals
that the ex-post revenue effect (¨R) differs from the ex-ante effect (¨TcB). We use the semi-
∆B
elasticity of the corporate tax base, , from the regressions on the degree of incorporation to
B
determine the ex-post revenue effect of corporate tax relief, taking into account income
shifting. As we argued before, the employment share is a better indicator for the corporate
share of business income than the firm share. We therefore take the semi-elasticity of 1.0 for
the employment share of existing firms in our computations. According to (4.1), we need to
multiply the semi-elasticity by the corporate tax rate, reported in Table 3.3. Imputing the
mean corporate tax of 24% in expression (4.1) and considering a reduction in the corporate
tax rate by 1%-point (i.e. ¨Tc = -1), the term between square brackets equals 0.76. It means
6
The variables of minimum capital required and the number of procedures are only available from 2003, which
correspond to the last year of our sample. In regression (12), we take the hypothesis that these variables mimic
the situation for the whole period. This may be plausible given that many reforms in favour of entrepreneurship
are fairly recent but it also represents an uncertainty that leads us to prefer regressions without those controls as a
benchmark. Running the regressions without controls and with controls for 2003 only provide a coefficient for
the difference in taxes of .650 and .640 respectively (both significant at 1% level). In the second regression, the
controls have coefficient similar to regression (12).
18
21. that an ex-ante reduction in the corporate tax rate equivalent to one euro, will cost only 76
eurocents in terms of corporate tax revenue lost ex-post. Hence, 24 eurocents are regained
through income shifting from the personal to the corporate tax base. This regain in corporate
tax revenue comes at the expense of a decline in personal tax revenue (which is likely to
exceed the regain in corporate tax revenue).
Income shifting is not the only behavioural effect of corporate tax changes that affects
the corporate tax base. De Mooij (2005) discusses several other effects, such as distortions in
investment, the financial structure of companies, international investment location and the
profit allocation by multinationals. He uses expression (4.1) to assess the revenue gains
associated with corporate tax relief through each of these mechanisms. On the basis of a
review of the empirical literature on various tax base elasticities, he finds that the largest
revenue effects are related to the channels of foreign direct investment (revenue gain of 12 ¼-
cents for an average EU country) and international profit allocation (revenue gain of around
30 ¼-cents for the Netherlands). The channels of investment and financial structure yield
much smaller effects. Our estimates suggest that profit shifting between the personal and the
corporate tax base is large as well and compares to the magnitude of international distortions.
Implications for the corporate tax-to-GDP ratio
The semi-elasticity of the corporate tax base of 1.0 implies that the difference between
personal and corporate taxes affects the corporate tax-to-GDP ratio. To illustrate this, we take
the average tax differential between the top personal tax and the reduced corporate tax in the
EU-15 between 1991 and 2006. This average tax gap is equal to 17%. With a semi-elasticity
of 1.0, the corporate tax base would be on average 17% broader than without such a tax gap.
With an average corporate tax-to-GDP ratio in the EU-15 of 2.7% in 2004, the tax gap is
responsible for a revenue share of around 0.45% of GDP. Hence, without the tax gap the tax-
to-GDP ratio is expected to fall from 2.7 to 2.25%. We call this difference the corporate tax
gain from income shifting.
19
22. Figure 4.1: Difference between the personal income and reduced corporate tax
24
22
20
18
16
14
12
10
1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004 2005 2006
GDP-weighted average of top personal tax minus reduced corporate tax in the EU-15
Source: IBFD and own calculations
Figures 4.1 and 4.2 demonstrate the development of this corporate tax gain from income
shifting in the EU-15 over time. In particular, Figure 4.1 demonstrates the development of the
average tax gap between the top personal tax rate and the reduced corporate tax rate between
1991 and 2006. We see that this tax gap increased from around 12%-points in the early 1990s
towards more than 20%-points in recent years. This is primarily the result of decreasing
corporate tax rates, which fell from an average of 41% to 27%.
20
23. Figure 4.2: Actual and simulated developments of the corporate tax-to-GDP ratio
3,4
3,2
3
Corporate tax-to-GDP ratio
2,8
2,6
2,4
2,2
2
1,8
1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004
Actual Without income shifting Without tax changes
The impact of the rising tax gap on corporate tax revenue is shown in Figure 4.2. It
demonstrates three alternative developments of the tax-to-GDP ratio in the EU-15 between
1991 and 2004. The first is the development of the actual corporate tax-to-GDP ratio
(‘Actual’). The second line in Figure 4.2 (“Without income shifting”) represents the simulated
development under the assumption that the tax gap would have been zero in all years between
1991 and 2004. It is constructed by subtracting the corporate tax revenue associated with
income shifting (i.e. the tax base elasticity of 1.0 times the tax gap in each year) from the
actual corporate tax-to-GDP ratio. The difference between the two lines can be interpreted as
the corporate tax gain from income shifting. We see from Figure 4.2 that this corporate tax
gain rose from around 0.3%-points of GDP in the early 1990s to 0.55%-points in 2004.
Hence, income shifting can indeed explain part of the stabilization of corporate tax revenue
since the early 1990s. The third line in Figure 4.2 (“Without tax changes”) shows the same
development in an alternative manner. It shows the simulated development of the corporate
tax-to-GDP ratio if the tax gap between personal and corporate taxation would have remained
unchanged since 1991. It is constructed by subtracting the additional income shifting induced
by the rising tax gap since 1991 from the actual tax-to-GDP ratio. The difference between this
line and the actual corporate tax-to-GDP ratio yields direct insight in the corporate tax gain
from income shifting. We see from Figure 4.2 that this gain has gradually increased over time
21
24. to around 0.25%-points in recent years. The rising tax gap thus explains 0.25%-points of the
stabilization of the corporate tax-to-GDP ratio since the early 1990s.
6. Conclusions
In the policy debate on tax competition in the European Union, the paradox of
declining corporate tax rates and rising tax-to-GDP ratios casts doubts on how serious is the
threat of tax competition for the public finances of Member States. This paper argues that
simply looking at corporate tax-to-GDP ratios can be misleading as part of the revenue
consequences of corporate tax relief shows up in lower personal tax revenue, rather than lower
corporate tax revenue. Indeed, we explore income shifting from the personal towards the
corporate tax base, induced by corporate tax cuts, via an increase in the degree of
incorporation of firms. The results suggest that the tax gap between personal and corporate tax
rates exerts a significant positive effect on the degree of incorporation. This result is robust for
alternative indicators and specifications. The impact of income shifting in response to a larger
tax gap is sizeable. Indeed, a one euro ex-ante tax relief in corporate taxes costs only 76
eurocents in terms of corporate tax revenue ex-post if the shifting of income towards the
corporate tax base is taken into account. This result can help explaining the part of the
corporate tax rate-revenue paradox, as the tax gap between personal and corporate tax rates
has grown since the early 1990s. Using our regression results, we find that around 12% of the
corporate tax-to-GDP ratio was due to income shifting in the early 1990s but this share has
grown to 21% in recent years due to the growing tax gap. Accordingly, income shifting has
contributed to the stabilization of the corporate tax-to-GDP ratio by around 0.25%-point since
the early 1990s. Income shifting thus only provides part of the explanation for the diverging
trends of corporate tax rates and revenues, not a full explanation.
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Eije, von H. and Megginson, W. (2006). Dividend Policy in the European Union. Mimeo.
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Fuest, C. and A. Weichenrieder (2002), Tax Competition and Profit Shifting: On the
Relationship between Personal and Corporate Tax Rates, Ifo Studien: Zeitschrift fur
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Gordon, R. H. and J. MacKie-Mason (1994), Tax Distortions to the Choice of Organizational
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Goolsbee, A. (1998), Taxes, Organizational Form and the Deadweight Loss of the Corporate
Income Tax, Journal of Public Economics, Vol. 69, pp. 143-152.
Goolsbee, A. (2004), The Impact of the Corporate Income tax: evidence from state
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Gordon, R.H. and J. Slemrod (2000). Are “Real” Responses to Taxes Simply Income Shifting
Between Corporate and Personal Tax Bases? In J. Slemrod (ed.), Does Atlas Shrug? The
Economic Consequences of Taxing the Rich, New York and Cambridge: Russell Sage
Foundation and Harvard University Press, 240-280.
Griffith, R. and A. Klemm (2004), What has been the tax competition experience for the last
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26. Schrör, H. (2005), Business Demography in Europe: results from 1997 to 2002, Statistics in
Focus, 36, Eurostat
Sørensen, P.B. (2007), Can capital income taxes survive? And should they?, CESifo Economic
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Weichenrieder, A. J. (2005), (Why) do we need corporate taxation?, CESifo Working Paper
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World Bank (2007). Doing Business database.
24
27. Appendix (A): Variable definitions and data sources
Variable Definition Source
Corporate tax rate Statutory corporate tax rate applicable to small companies. European Commission
and Office of Tax Policy
Research.
Degree of Number of firms in limited liability form divided by the number of firms in either limited liability of sole Eurostat’s harmonized
incorporation of proprietorship form. This ratio can be computed for new or for active firms, as well as in number of firms or in data collection on
firms. number of employees. business demography
and own calculations.
Difference in Difference between the top personal income tax rate and the statutory corporate tax rate applicable to small European Commission,
taxes companies. Office of Tax Policy
Research and own
calculations.
Sectors Based on NACE-4digit classification, the have the following 12 large sectors and 60 sub-sectors: Eurostat’s harmonized
1. mining (C): mining of energy (CA), mining except energy (CB); data collection on
2. Manufacturing (D): food and beverage (DA), textile (DB), leather (DC), wood (DD), paper (DE), coke (DF), business demography
chemicals (DG), rubber and plastics (DH), non-metal minerals (DI), metals (DJ), machinery and equipment and own aggregations.
(DK), electrical and optical (DL), transport equipment (DM), manufacturing NEC (DN);
25
3. utilities (E): energy supply (E40), collection and purification (E41);
4. construction (F): construction (F45);
5. retail (G, H): motor vehicules (G50), wholesale except motor (G51), retail non-specialised stores (G521),
retail of food in specialized stores (G522), retail in specialized stores (G523-G525), retail not in stores (G526),
repair of personal goods (G527), hotels and campings (H551-H552), restaurants and bars (H553-H554-H555);
6. storage and communications (I): land transport (I60), water transport (I61), air transport (I62), support to
transport activities (I63), post (I641), telecommunications (I642);
7. financial (J): financial except insurance and pension (J65), insurance and pension (J66), support to financial
activities (J67);
8. estate and business (K70-K71): real estate (K70), renting of machinery (K71);
9. computers (K72): hardware computer (K721), software computer (K722), data computer (K723), database
activities (K724), repair of computers (K725), other computer activities (K726);
10. R&D (K73);
11. professions (K74): accounting and auditing (K741), architecture and engineering (K742), technical testing
(K743), advertising (K744), labour recruitment (K745), investigation and security (K746), industrial cleaning
(K747), business NEC (K748);
12. social (M,N,O): education (M80), health and social work (N85), sewage, disposal and sanitation (O90),
membership organizations (O91), cultural and sport activities (O92), other services (O93).
Gross Operating Gross Value added minus compensation of employees minus taxes on import and production plus subsidies on AMECO Database
Surplus production (for total economy or for corporate sector).
Real GDP growth Yearly rate of real DGP growth. AMECO Database.
28. Variable Definition Source
Minimum capital the minimum capital required to create a company as a percentage of income per capita World Bank
Number of Total number of procedures required to register a firm World Bank
procedures
26
29. TAXATION PAPERS
Taxation Papers can be accessed and downloaded free of charge at the following address:
http://ec.europa.eu/taxation_customs/taxation/gen_info/economic_analysis/tax_papers/index_en.htm
The following papers have been issued.
Taxation Paper No 11 (2007): Corporate tax policy and incorporation in the EU. Written by Ruud A. de
Mooij and Gaëtan Nicodème.
Taxation Paper No 10 (2007): A history of the 'Tax Package': The principles and issues underlying the
Community approach. Written by Philippe Cattoir.
Taxation Paper No 9 (2006): The Delineation and Apportionment of an EU Consolidated Tax Base for
Multi-jurisdictional Corporate Income Taxation: a Review of Issues and Options. Written by Ana
Agúndez-García.
Taxation Paper No 8 (2005): Formulary Apportionment and Group Taxation in the European Union:
Insights from the United States and Canada. Written by Joann Martens Weiner.
Taxation Paper No 7 (2005): Measuring the effective levels of company taxation in the new member
States : A quantitative analysis. Written by Martin Finkenzeller and Christoph Spengel.
Taxation Paper No 6 (2005): Corporate income tax and the taxation of income from capital. Some
evidence from the past reforms and the present debate on corporate income taxation in Belgium.
Written by Christian Valenduc.
Taxation Paper No 5 (2005): An implicit tax rate for non-financial corporations: Definition and
comparison with other tax indicators. Written by Claudius Schmidt-Faber.
Taxation Paper No 4 (2005): Examination of the macroeconomic implicit tax rate on labour derived by
the European Commission. Written by Peter Heijmans and Paolo Acciari.
Taxation Paper No 3 (2005): European Commission Staff Working Paper.
Taxation Paper No 2 (2004): VAT indicators. Written by Alexandre Mathis.
Taxation Paper No 1 (2004): Tax-based EU own resources: an assessment. Written by Philippe
Cattoir.
27
30.
31. European Commission
Taxations Papers — Corporate tax policy and incorporation in the EUh
Luxembourg: Office for Official Publications of the European Communities
2006 – 27 pp. – 21 x 29.7 cm
ISBN 92-79-02182-6
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