Challenges of Taxing Financial Wealth Gabriel Zucman (London School of Economics) November 2014
This talk: three points 1. The financial wealth held in offshore tax havens is large, rising, and seems largely undeclared See The Missing Wealth of Nations: Are Europe and the US net Debtors or net Creditors?, QJE 2013, book 2013-2015 2. Tax avoidance by multinational companies is severely eroding the corporate tax base See Taxing Across Borders: Tracking Personal Wealth and Corporate Profits, JEP 2014 3. There exist concrete solutions to both issues: Well-defined sanctions for non-compliance and a financial registry
I- Offshore private wealth
A growing fraction of wealth is being managed by offshore financial institutions 10% U.S. equities held by tax haven firms and individuals % of U.S. equity market capitalization 8% 6% 4% 2% 0% 1940 1950 1960 1970 1980 1990 2000 2010 In 2012, 9% of the U.S. listed equity market capitalization was held by tax haven investors (hedge funds in the Cayman Islands, banks in Switzerland, mutual funds in Luxembourg, individuals in Monaco, etc.). Source: author's computations using US TIC data
There is a lot of activity in offshore centers, usually legal and legitimate What offshore centers do: Investment funds (Luxembourg, Ireland...) Shadow banking (Caymans...) Treasury management (U.S.-Cayman...) Personal wealth management (Switzerland, Singapore...) But some offshore centers, institutions and instruments also facilitate tax evasion by wealthy individuals
Some tax haven activities and institutions facilitate tax evasion How offshore tax evasion works: Shell companies Fake invoices Offshore accounts Disconnecting legal and beneficial ownership
What do we know about the magnitude of offshore tax evasion? Monthly statistics by the Swiss National Bank Systematic anomalies in the international investment positions of countries caused by offshore portfolio wealth Example: France-Switzerland-US 8% of the world s financial wealth offshore; if anything lower bound Limited evidence on what fraction evades taxes (maybe 90-95% prior to 2008, down to 80% today?)
Less securities are recorded on asset than liability side of the world s balance sheet 60 000 Total Assets (left-hand scale) 6 000 Billions of current U.S. dollars 50 000 40 000 30 000 20 000 Total Liabilities (left-hand scale) Discrepancy (right-hand scale) 5 000 4 000 3 000 2 000 Billions of current U.S. dollars 10 000 1 000 0 2001 2002 2003 2004 2005 2006 2007 2008 0
In Switzerland, owners of offshore accounts mostly invest in Luxemb. funds Luxembourg mutual funds France U.S., Germany, Italy Irish mutual funds U.S. equities German bonds Etc. Switzerland Singapore, Hong Kong, Jersey, Cayman Islands
The missing global wealth is mostly invested in Luxembourg funds as well 1Figure of the 2: Discrepancy Distribution Between Securities Assets and Liabilities, 2008 Figure 2: Distribution of the Discrepancy Between Securities Assets and Liabilities, 2008 Guernsey Switzerland United States Italy Japan Netherlands France Ireland Cayman Islands Luxembourg 0200 400 600 800 1000 Billions of current U.S. dollars.1.2.3.4.5.6.7.8.91 Securities Assets and Liabilities, 2008 Billions of current U.S. dollars 200 400 600 800 1000 Luxembourg Cayman Islands Ireland France Netherlands Japan Italy United States Switzerland Guernsey 0.1.2.3.4.5.6.7.8.9 1
8% of the world s financial wealth is held offshore, costing at least $200bn Offshore wealth ($ bn) Share of financial wealth held offshore Tax revenue loss ($ bn) Europe 2,600 10% 75 USA 1,200 4% 36 Asia 1,300 4% 35 Latin America 700 22% 21 Africa 500 30% 15 Canada 300 9% 6 Russia 200 50% 1 Gulf countries 800 57% 0 Total 7,600 8.0% 190
A lot of progress has been done recently, but a lot remains to be done Automatic exchange of bank information will probably become global standard by end of 2010s: great! Three obstacles at this stage: Securing compliance from offshore bankers Making sure offshore banking does not move to uncovered jurisdictions Need well-defined, proportional sanctions to secure global, actual compliance Addressing the opacity of international financial record-keeping A world financial registry would make it possible to measure wealth and fill in the giant gaps in international data
II- Multinational corporations tax avoidance
The taxation of multinationals is based on 3 principles adopted in the 1920s Source-based taxation Taxes are to be paid to countries where profits have been made Not to countries where shareholders live (= residence taxation) But how to determine where the profits have been made? Arm s length pricing Subsidiaries of a same group must compute their profits as if unrelated I.e., trade goods and services internally at market prices Bilateral agreements No multilateral agreement like GATT Instead, thousands of bilateral tax treaties
Each of the 3 core principles for international taxation raises its own issues Bilateral agreements Treaty shopping to generate stateless income Example: Google google Arm s length pricing Easy to manipulate transfer prices Reference prices often do not exist Source-based taxation Artificial profit shifting Tax competition for real investments The way we tax corporations is not adapted anymore to today s globalized world
What is the cost of multinational corporate tax avoidance? Hard to quantify: double-counting issues, tax laws vary substantially across countries, etc. My approach: use national accounts and balance of payments data Focus on US firms: what is happening to the profits of US-owned companies? Latest data show offshore tax avoidance is sizable and growing fast
More than half of the foreign profits of US-owned firms are booked in tax havens The share of tax havens in U.S. corporate profits made abroad % of U.S. corporate profits made abroad 50% 40% 30% 20% 10% 0% 1982 1984 1986 1988 Switzerland 1990 1992 Singapore 1994 1996 1998 Netherlands 2000 2002 Bermuda (and other Caribbean) 2004 Luxembourg 2006 Ireland Notes: This figure charts the share of income on U.S. direct investment abroad made in the main tax havens. In 2013, total income on U.S.DI abroad was about $500bn. 17% came from the Netherlands, 8% from Luxembourg, etc. Source: author's computations using balance of payments data, see Online Appendix. 2008 2010 2012
20% of all US corporate profits are booked in tax havens 25% The share of tax havens in U.S. corporate profits 20% % of US corporate profits 15% 10% 5% 0% 1984 1986 1988 1990 1992 1994 1996 1998 2000 2002 2004 2006 2008 2010 2012 Notes: This figure charts the ratio of profits made in the main tax havens (Netherlands, Ireland, Switzerland, Singapore, Luxembourg, Bermuda and other Caribbean havens) to total US corporate profits (domestic plus foreign). Source: author's computations using NIPA and balance of payments data, see Online Appendix.
The effective rate paid by US corporations has been reduced by 1/3 since late 1990s % of US corporate profits 55% 50% 45% 40% 35% 30% 25% 20% 15% 10% 5% 0% Nominal and effective corporate tax rates on US corporate profits Nominal U.S. federal rate Effective rate paid to US government Effective rate paid to US and foreign gov. 1950-59 1960-69 1970-70 1980-89 1990-99 2000-09 2010-13 Notes: The figure reports decennial averages (e.g., 1970-79 is the average of 1970, 1971,..., 1979). In 2013, over $100 of corporate profits earned by US residents, on average $16 is paid in corporate taxes to the U.S. government (federal and States) and $4 to foreign governments. Source: author's computations using NIPA data, see Online Appendix.
The way to go: formula apportionment Abandon arm s length pricing, tax corporations consolidated profits, and apportion those profits to each country according to some formula (with a high weight on sales) This works well in the United States for the State corporate taxes Common Consolidated Corporate Tax Base project in Europe; needs to be extended to global profits of non-eu firms The EU could move unilaterally; best would be to move jointly with the US in the context of trans-atlantic free trade talks Formula apportionment is doable, and would render corporate tax planning obsolete
Supplementary Slides
How Google avoids taxes: the double Irish Dutch sandwich back