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How do most low ETR firms avoid paying taxes?
Evidence suggests a large proportion of profitable U.S. firms have low effective tax rates (i.e., an ETR between 0 and 10%). Despite widespread interest in how firms avoid paying taxes, we do not know how most firms attain low ETRs and whether they are primarily benefiting from benign or aggressive...
Autores principales: | , , |
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Formato: | Online Artículo Texto |
Lenguaje: | English |
Publicado: |
Springer US
2021
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Materias: | |
Acceso en línea: | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC8429478/ http://dx.doi.org/10.1007/s11142-021-09614-8 |
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author | Christensen, Dane M. Kenchington, David G. Laux, Rick C. |
author_facet | Christensen, Dane M. Kenchington, David G. Laux, Rick C. |
author_sort | Christensen, Dane M. |
collection | PubMed |
description | Evidence suggests a large proportion of profitable U.S. firms have low effective tax rates (i.e., an ETR between 0 and 10%). Despite widespread interest in how firms avoid paying taxes, we do not know how most firms attain low ETRs and whether they are primarily benefiting from benign or aggressive tax positions. Using a research design that explicitly examines low ETR firms, we predict and find that the majority are primarily benefiting from a benign tax position: large net operating loss carryforwards (NOLs). We also find that large NOLs allow firms to persistently retain low ETRs year after year. In contrast, we find that multinationals and tax haven firms, which should have more opportunities for aggressive tax planning, have a lower probability of attaining a low ETR (relative to domestic and non-tax haven firms). Collectively, these findings suggest that the typical low ETR firm does not incur significant tax risk. Consistent with this, we find that low ETR firms accrue unrecognized tax benefits at a similar rate as firms that pay the statutory tax rate and do not experience higher future tax rate volatility. Overall, the results shed light on the profile of the average low ETR firm and provide evidence that the majority are utilizing large NOLs rather than aggressive tax planning. SUPPLEMENTARY INFORMATION: The online version contains supplementary material available at 10.1007/s11142-021-09614-8. |
format | Online Article Text |
id | pubmed-8429478 |
institution | National Center for Biotechnology Information |
language | English |
publishDate | 2021 |
publisher | Springer US |
record_format | MEDLINE/PubMed |
spelling | pubmed-84294782021-09-10 How do most low ETR firms avoid paying taxes? Christensen, Dane M. Kenchington, David G. Laux, Rick C. Rev Account Stud Article Evidence suggests a large proportion of profitable U.S. firms have low effective tax rates (i.e., an ETR between 0 and 10%). Despite widespread interest in how firms avoid paying taxes, we do not know how most firms attain low ETRs and whether they are primarily benefiting from benign or aggressive tax positions. Using a research design that explicitly examines low ETR firms, we predict and find that the majority are primarily benefiting from a benign tax position: large net operating loss carryforwards (NOLs). We also find that large NOLs allow firms to persistently retain low ETRs year after year. In contrast, we find that multinationals and tax haven firms, which should have more opportunities for aggressive tax planning, have a lower probability of attaining a low ETR (relative to domestic and non-tax haven firms). Collectively, these findings suggest that the typical low ETR firm does not incur significant tax risk. Consistent with this, we find that low ETR firms accrue unrecognized tax benefits at a similar rate as firms that pay the statutory tax rate and do not experience higher future tax rate volatility. Overall, the results shed light on the profile of the average low ETR firm and provide evidence that the majority are utilizing large NOLs rather than aggressive tax planning. SUPPLEMENTARY INFORMATION: The online version contains supplementary material available at 10.1007/s11142-021-09614-8. Springer US 2021-09-10 2022 /pmc/articles/PMC8429478/ http://dx.doi.org/10.1007/s11142-021-09614-8 Text en © The Author(s), under exclusive licence to Springer Science+Business Media, LLC, part of Springer Nature 2021 This article is made available via the PMC Open Access Subset for unrestricted research re-use and secondary analysis in any form or by any means with acknowledgement of the original source. These permissions are granted for the duration of the World Health Organization (WHO) declaration of COVID-19 as a global pandemic. |
spellingShingle | Article Christensen, Dane M. Kenchington, David G. Laux, Rick C. How do most low ETR firms avoid paying taxes? |
title | How do most low ETR firms avoid paying taxes? |
title_full | How do most low ETR firms avoid paying taxes? |
title_fullStr | How do most low ETR firms avoid paying taxes? |
title_full_unstemmed | How do most low ETR firms avoid paying taxes? |
title_short | How do most low ETR firms avoid paying taxes? |
title_sort | how do most low etr firms avoid paying taxes? |
topic | Article |
url | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC8429478/ http://dx.doi.org/10.1007/s11142-021-09614-8 |
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