The United States has the single highest
corporate tax rate in the developed world—the US combined corporate tax
rate is 39.1 percent. The chart below shows that US peer nations have
systematically lowered their high corporate tax rates, while the United
States’ rate has remained unchanged.
As our peer
nations’ tax rates become more attractive, the chart shows a
simultaneous rise in US corporations moving abroad to lower-tax
countries.
In
addition to high rates, the United States is one of just six countries
in the Organisation for Economic Co-operation and Development that still
uses 1960s-era tax rules that attempt to tax the worldwide income of
its domestic corporations. Worldwide tax systems tax all income of
domestically headquartered businesses, including income earned by
subsidiaries operating abroad. Firms are allowed to defer paying taxes
on “active” foreign income until that income is brought back, or
repatriated, into the United States.
The United
States should abandon the worldwide system in favor of a system of
territorial taxation. Territorial taxation only taxes income earned
within the country’s borders. Taxing income where it is earned levels
the playing field, so that each firm’s operations in a particular
jurisdiction are taxed at the same rate, regardless of the location of
corporate ownership.
A territorial system could
encourage economic growth, allowing corporate profits to flow to their
highest-value use. The current US system of worldwide taxation locks
approximately $2 trillion of corporate profits out of the US economy.
This system forces firms to either reinvest those profits overseas or
hold those profits abroad idly waiting for a lower US corporate tax rate
to bring them back to the United States. Under a territorial system,
corporate profits could be reinvested in American infrastructure,
factories, and research and development—or paid out to American
investors and retirees as dividends.
A new
Mercatus on Policy paper
discusses the Treasury Department’s misguided attempts to stop
corporate inversions through regulatory fiat. A preferable policy
alternative would be for US policymakers to lower the top marginal
federal corporate income tax rate to be no higher than the OECD average
of 25 percent. The paper also discusses other ways to achieve truly
competitive reform."
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