Merger Control with Transfers from the Capital Gains Tax
Arnaud Féral ()
No 2008-34, THEMA Working Papers from THEMA (THéorie Economique, Modélisation et Applications), Université de Cergy-Pontoise
Abstract:
This work proposes to rely on the capital gains tax legislation to introduce transfers in merger control. Transfers are never used in merger regulation, however they can represent a relevant device to extract information on synergies. The implicit transfer collected thanks to the capital gains tax, associated with divestitures, allows to screen among high and low synergy achievers. The analysis focuses on the fact that the transfer is scally constrained. It must be strictly positive but lower than a threshold; the capital gains tax paid by target shareholders depends on the ratio of cash used by the bidder as a medium of paiement in the takeover bid and on the tax rate. The upper scal constraint combined with a non monotonic consumer surplus function allow the inecient type to enjoy a rent, and affect the usual rent-efficiency trade-o. The lower scal constraint induces the ecient type's divestitures to be distorted downward from the rst best.
Keywords: Merger control; asymmetric information; capital gains tax; divestitures; principal agent. (search for similar items in EconPapers)
JEL-codes: D82 D86 L41 L51 (search for similar items in EconPapers)
Date: 2008
References: Add references at CitEc
Citations:
Downloads: (external link)
http://thema.u-cergy.fr/IMG/documents/2008-34.pdf (application/pdf)
Related works:
This item may be available elsewhere in EconPapers: Search for items with the same title.
Export reference: BibTeX
RIS (EndNote, ProCite, RefMan)
HTML/Text
Persistent link: https://EconPapers.repec.org/RePEc:ema:worpap:2008-34
Access Statistics for this paper
More papers in THEMA Working Papers from THEMA (THéorie Economique, Modélisation et Applications), Université de Cergy-Pontoise Contact information at EDIRC.
Bibliographic data for series maintained by Stefania Marcassa ( this e-mail address is bad, please contact ).