§ 34a EStG - Einstieg in eine rechtsformneutrale Besteuerung oder Option für ein virtuelles Trennungsprinzip?
Claudia Wesselbaum-Neugebauer ()
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Claudia Wesselbaum-Neugebauer: Schumpeter School of Business and Economics Bergische Universität Wuppertal
No sdp08009, Schumpeter Discussion Papers from Universitätsbibliothek Wuppertal, University Library
Abstract:
The paper addresses the question whether the preferential treatment of retained earnings according to section 34a EStG is suitable to achieve a comparable tax burden of partnerships and corporations. To calculate the tax burden on retained earnings requires the combination of the progressive personal income tax, the trade tax, which varies widely depending on the community and partnerships payments for interest, rent, leasing, and royalties, as well as the preferential tax rate. The resulting tax has to match the business tax rate of corporations, in order to tax retentions irrespective of the legal form. It turns out that, due to the specifics of the German local tax, the reduced tax rate has to be calculated individually. It can be shown that it is impossible to determine a reference value for all domestic companies. By introducing a "virtual principle of separation" (virtuelles Trennungsprinzip) we allow entrepreneurs to separate between the level of the firm and the ow ner of the firm, when retained earnings are to be taxed. The retained profit is taxed at the corporate income tax rate of 15 %, the solidarity surcharge of 5.5 % and the trade tax rate; once the profit is distributed, it is taxed at the progressive personal income tax rate of the partner.
Keywords: business taxation; preferential treatment of retained earnings; principle of separation; trade tax (search for similar items in EconPapers)
JEL-codes: D92 G32 H24 H25 (search for similar items in EconPapers)
Pages: 41
Date: 2008-12
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