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Border Adjustment as Tax Policy and as Macroeconomic Policy
Jason FurmanSenior Fellow, PIIE
Peterson Institute for International Economics | 1750 Massachusetts Ave., NW | Washington, DC 20036
Conference: “Border Tax Adjustment and Corporate Tax Reforms” Washington, DCFebruary 1, 2017
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Concern #1: Our Business Tax System is Broken, As Evidenced by High Statutory Rates…
Note: Combined central and sub-central (statutory) corporate income tax rate given by the central government rate (less deductions for sub-national taxes) plus the sub-central rate. OECD average is calculated using gross domestic product (in current U.S. dollars) in 2015 (latest year available for all countries) as weights.Source: Organisation for Economic Co-operation and Development; national sources via Haver Analytics; author’s calculations.
OECD Weighted Average (Excluding United States): 27.1
0
5
10
15
20
25
30
35
40
45
Statutory Corporate Income Tax Rates, 2016Percent
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…Without Commensurately Higher Effective Rates, Indicative of the Narrow Tax Base…
Note: G-7 average is calculated using gross domestic product (in current U.S. dollars) as weights.Source: Council of Economic Advisers (2015).
21.6 23.1 23.6
27.7 27.9 29.1
38.8G-7 Weighted Average
(Excluding United States): 29.2
0
5
10
15
20
25
30
35
40
45
Canada France UnitedKingdom
UnitedStates
Germany Italy Japan
Average Effective Tax Rates in the G-7, 2006-2009Percent
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…And a “Stupid Territorial” System for International Taxation That Distorts While Raising Little/No Revenue
Source: Council of Economic Advisers (2015).
CountryForeign Corporation Profits Relative to GDP (Percent)
Bahamas 104Bermuda 1,578British Virgin Islands 1,009Cayman Islands 1,430Cyprus 13Ireland 38Luxembourg 103Netherlands 15Netherlands Antilles 25
U.S.-Controlled Foreign Corporation Profits Relative to GDP, 2010
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The Resulting Variable Tax Rates Cause Capital Misallocation, Financial Fragility, and Other Distortions
Utilities 10Wholesale and Retail Trade 27
Equity-Financed 35Debt-Financed -5
Corporate Business 29Pass-Through Business 24
In the United States (Hypothetical) 30In a Low-Tax Country (Hypothetical) -24In a High-Tax Country (Hypothetical) 13
Business 27Owner-Occupied Housing -2
Effective U.S. Corporate Tax RatesAverage Effective Actual Rate
Effective Marginal Tax Rates on New Investment
Source: Office of Tax Policy, Department of the Treasury (2017); Council of Economic Advisers (2015).
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The Net Effect of These is Meaningful, But Not So Large As to Override Other Concerns
Source Policy Change Short-Run Long-Run
Treasury (2006) President's Advisory Panel on Tax ReformSimplified Income Tax 0.0 - 0.4 0.2 - 0.9Growth and Investment Tax 0.1 - 1.9 1.4 - 4.8
Altig et al. (2001) Stylized Revenue-Neutral Tax ReformsProportional Consumption Tax 6.3 9.4Flat Tax with Transition Relief 0.5 1.9
Select Estimates of the Effect of Tax Reform on the Level of Output
Note: Output measure is (in order of preference if multiple measures are reported) national income, real gross national product, and real gross domestic product. Time period for short-run effects varies across studies, but (in most cases) is an average over several years in the first decade. Long-run effects typically reflect estimates of the change in the steady-state level of output.Source: Furman (2016).
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Concern #2: The Medium- and Long-Run Deficit
Source: Congressional Budget Office.
CBO Baseline Forecast
2027
0
1
2
3
4
5
6
2014 2016 2018 2020 2022 2024 2026 2028
Federal Budget Deficit as Share of GDPPercent of Fiscal Year GDP
Actual
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Concern #3: High Levels of Inequality
Source: World Wealth and Income Database.
2015
4
8
12
16
20
24
1945 1955 1965 1975 1985 1995 2005 2015
Top 1 Percent Income Share, 1945-2015Percent
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Some Weak or Fallacious Arguments for Destination Basis/Border Adjustment
1. Everyone else is doing it, so we should, too.
2. It improves U.S. competitiveness.
3. It is a necessary part of a cash flow/consumption tax.
4. It raises revenue in the budget window.
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Capital Export Neutrality → Worldwide
OR
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Capital Ownership Neutrality → Territorial
OR
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Profit Location – Neither System is Perfect
OR
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The Tax Policy Argument for Destination Basis: Sales Less Affected by Taxes
&
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Summarizing the Tax Policy Argument for Destination Basis/Border Adjustment
Comparison of Selected Tax SystemsWhere to Locate
Production
Who Owns a Given
Subsidiary
Where to Report Profits
Where to Locate HQ
Current: Deferral Worldwide Territorial Minimum Tax / / / /Destination Basis
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Some Tax Policy Concerns with Destination Basis
1. Direct sales to consumers, tourists and retirees
2. More firms with unrecoverable losses
3. Impact on global tax system from incentive to shift income
4. Treatment of financial transactions
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Large Exchange-Rate Adjustments (or Lack Thereof) Would Have Global Repercussions
Full Adjustment (Illustrative)
Partial Adjustment (Illustrative)
60
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100
110
120
130
140
150
1970 1975 1980 1985 1990 1995 2000 2005 2010 2015
Real Trade-Weighted Dollar (Major Currency Index)Index (Mar-1973 = 100)
Note: Shading denotes recession.Source: Federal Reserve Board; author’s calculations.
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Questions on WTO Legality and Sanctioned/Unsanctioned Responses
• One indication of magnitude comes from Bown (2017), import restrictions (trade effects) formula: $220 billion in retaliation
• China: $46 billion
• European Union: $42 billion
• Mexico: $30 billion
• Canada: $28 billion
• Japan: $13 billion
• Six other countries: $4 billion or more
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Border Adjustment Does Not Raise Long-Run Revenue—Using It as a “Payfor” is Deficit-Increasing
Source: Tax Policy Center (2016); Bureau of Economic Analysis, National Income and Product Accounts; OASDI Trustees Report (2016); author’s calculations.
Ten Years Permanent
Border Adjustment 0.4 0.0 to -0.3
Portion of Rate Reduction Financed by Border Adjustment -0.4 -0.4
Net Fiscal Impact 0.0 -0.4 to -0.7
Plausible Illustration of Long-Run Fiscal Effects (NPV, Percent of GDP)
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Long-Run Impact on Households: Need Dynamic Distributional Analysis
• Cannot answer the most important question without knowing:• Direct incidence of taxes• Impact on before tax incomes• Indirect incidence of financing tax cuts
• All are very difficult and depend on the plan as a whole.
• Would raise concerns if:• Static distribution was regressive (e.g. large reductions in top
rate)• Proposal was a net-present-value tax reduction—because
ultimate financing unlikely to be progressive• Significant reduction in tax rates on market power and luck
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Border Adjustment as Tax Policy and as Macroeconomic Policy
Jason FurmanSenior Fellow, PIIE
Peterson Institute for International Economics | 1750 Massachusetts Ave., NW | Washington, DC 20036
Conference: “Border Tax Adjustment and Corporate Tax Reforms” Washington, DCFebruary 1, 2017