Rethinking Foreign Tax Creditability
Daniel N. Shaviro
National Tax Journal, 2010, vol. 63, issue 4, 709-21
Abstract:
International tax policy experts often mistakenly conflate two distinct margins: (1) the overall tax burden on outbound investment, and (2) the marginal reimbursement rate (MRR) for foreign taxes paid, which is 100 percent under a foreign tax credit system, but equals the marginal tax rate for foreign source income under an explicit or implicit deductibility system (such as exemption). From a unilateral national welfare standpoint, whatever the right answer at margin (1), deductibility is clearly optimal, and creditability dangerously over-generous, at margin (2).
Date: 2010
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Persistent link: https://EconPapers.repec.org/RePEc:ntj:journl:v:63:y:2010:i:4:p:709-21
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