4,966 research outputs found

    The Changing Structure of Tax Policies for Foreign Direct Investment in Developing Countries

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    Developing countries keen to attract foreign direct investment (FDI) have typically used various preferential tax policies to be competitive. Tax holidays have been especially prevalent in the 1980s (Mintz [1990] and Shah [1995]) since they provide new foreign investors a low-tax regime for a qualifying period on the presumption that a company needs time to establish good levels of profitability.Working Paper Number 04-46

    Tax holidays and investments

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    The tax holiday - an incentive frequently used in developing countries to encourage capital investments - offers benefits for short-term investments but could in fact penalize long-term capital investments. For some countries with high inflation rates and relatively fast writeoffs for depreciable capital, the effective tax rate on long-term investments is higher during the tax holiday than after. For one thing the tax law may require assets to be depreciated during the holiday. If so, the value of tax depreciation writeoffs may be lower than the true economic cost of depreciation. For another the tax benefit of nominal interest deductions associated with debt financing of capital are of no value to the firm during the holiday - whereas after the holiday they may be quite beneficial. After estimating the effective tax rates on capital for holiday and post holiday investments, the author concludes that for some countries the effecctive tax rate on long-term capital is higher during the holiday than after.International Terrorism&Counterterrorism,Public Sector Economics&Finance,Economic Theory&Research,Banks&Banking Reform,Environmental Economics&Policies

    2007 Tax Competitiveness Report: A Call for Comprehensive Tax Reform

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    Canada has made slow but steady progress in improving its tax system, yet the effective tax rate on new business investment remains 11th highest in the world.tax reform, business taxation, marginal effective tax rates

    Photoelectron spectroscopy of ethylene, isobutylene, trimethylethylene, and tetramethylethylene at variable angles

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    Using a HeI line 58.4 nm source lamp, photoelectron angular distributions were measured for the series of four olefins: ethylene, isobutylene (2‐methyl‐propene), trimethylethylene (2‐methyl‐2‐butene), and tetramethylethylene (2,3‐dimethyl‐2‐butene). From these, the asymmetry parameter β as a function of photoelectron energy was obtained for each of these molecules. The following important effects in the behavior of β are observed: (a) In the π orbital ionization regions of the spectrum of each molecule, β increases with increasing electron energy across the vibrational envelopes. (b) With increasing methyl substitution (and at a fixed photoelectron enegy) β for this band decreases. (c) In the region of the spectra of each of the methyl‐substituted ethylenes involving several 2pσ bands, this energy dependence of β behaves as if they constituted a single band, in spite of the widely differing orbital symmetries. (d) Over most of the 2pσ region of each molecule, β decreases with increasing photoelectron energy, except for the high ionization potential end of this region, where β increases instead. We attribute effects (b) and (d) to σ–π orbital mixing

    Energy dependence of the differential photoelectron cross sections of molecular nitrogen

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    The angular distribution of photoelectron intensity for molecular nitrogen was studied using He I and Ne I resonance line discharge light sources. Studies of photoelectron angular distributions covering a range of photon energies, and thus a range of photoelectron energies, are possible using the weaker high order lines in each discharge as well as the principal lines. Peaks in three photoelectron bands of N_2 were studied at the photon energies 16.85, 19.78, 21.22, 23.09, and 23.74 eV, where possible. We find that the v′=0 peak of the X^ 2Σ^+_g band has abnormally high intensity and, at the higher photon energies, an abnormally low angular distribution asymmetry parameter, β. Several mechanisms for this anomaly are discussed, including autoionization, the variation of electric dipole transition moments with internuclear distance, and possible shape resonance phenomena. None of these explanations is completely in agreement with all theoretical and experimental evidence

    Limited Horizons: The 2008 Report on Federal and Provincial Budgetary Tax Policies

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    Canadian governments are undercutting progress in reducing corporate income and capital taxes with counter-productive policies that impose unequal tax burdens across assets and industries. The study highlights priorities for improving the tax system by reducing taxes on capital investment and labour.tax competitiveness, fiscal policy, corporate and capital taxes

    Incentives for public investment under fiscal rules

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    The authors explore the relationship between fiscal rules and capital budgeting. The current budgetary approach to limit deficits to a fixed portion of GDP or to balance budgets could undermine incentives to invest in public capital with long-run returns since politicians concerned about electoral prospects would favor expenditures providing immediate benefits to their voters. An alternative budgetary approach is to separate capital from current revenues and expenditures and relax fiscal constraints by allowing governments to finance capital expenditures with debt, as suggested by the golden rule approach to capital funding. But the effect of capital budgeting would be to provide opportunities to politicians to escape the fiscal rule constraints by shifting current expenditures into capital accounts that are difficult to measure properly, thereby leading to increased borrowing. As an alternative, the authors propose a modified golden rule limiting debt finance to a proportion of the government's investment in self-liquidating assets.Public Sector Economics&Finance,Investment and Investment Climate,Economic Theory&Research,Public&Municipal Finance,Urban Economics

    Taxing foreign income in capital-importing countries : Thailand's perspective

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    This paper proposes a framework for analyzing international-income taxation. The standard approach, involving the user cost of capital, is extended to incorporate the role of tax policy implemented by the home country. Tax provisions of home countries vary significantly. Of particular relevance are: (a) whether remitted earnings are taxed at home; (b) if so, whether they receive any unilateral tax relief, that is, deduction or foreign tax credit; (c) whether the home country accepts tax sparing; and (d) the scope and extent of deductible expenses, which generally differ from those of the host. Also of interest to the host are firms'international tax planning opportunities. Thailand has sought and achieved double-taxation agreement with most of its trading partners. It has attracted substantial foreign investments and collected the attendant revenue. Its tax policy remains vulnerable in many areas, however. There are, for example, inadequate safeguards against excessive leverage, transfer pricing, and treaty shopping. Its strategy concerning tax incentives could also be strengthened to remove the barriers for extending the treaty network and enhancing regional coordination.International Terrorism&Counterterrorism,Economic Theory&Research,Environmental Economics&Policies,Public Sector Economics&Finance,Banks&Banking Reform

    Cash flow or income? : the choice of base for company taxation

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    Considerable interest has been expressed in recent years by tax theorists as well as practitioners, for the taxation of companies based on their cash flow. Unlike the equity-income tax base, which requires the deductibility of economic depreciation and debt financing costs, the cash-flow base expenses capital at the point of purchase, eliminating the need for the subsequent costing of this capital. This paper raises some of the issues that would arise in trying to implement a company tax either in the form of an indexed equity-income or a cash-flow tax. Issues raised include: (i) administrative complexity; (ii) international tax coordination and competition; and (iii) transition problems. In a closed economy the cash-flow tax seems a simple, efficient form of company taxation, administratively straightforward and neutral with regard to investment decisions. The more complicated equity-income tax is harder to defend in a closed economy.Economic Theory&Research,Public Sector Economics&Finance,Environmental Economics&Policies,Banks&Banking Reform,International Terrorism&Counterterrorism
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