
Allocation of Multinational Business Income: Reassessing the Formulary Apportionment Option
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Content
- Intro
- Half-Title Page
- Title Page
- Copyright Page
- Editors
- Contributors
- Summary of Contents
- Table of Contents
- Acknowledgements
- Introduction: Reassessing the Formulary Apportionment Option
- Part I The Story to Date
- Chapter 1 History and Theory of Formulary Apportionment
- §1.01 INTRODUCTION
- §1.02 FORMULARY APPORTIONMENT IN THE NINETEENTH CENTURY
- §1.03 FORMULARY APPORTIONMENT AND SUBNATIONAL TAXES IN THE TWENTIETH CENTURY
- [A] Early US Formulary Apportionment
- [B] The Shift to Unitary Taxation
- [C] The Path to Uniformity in US State Formulary Apportionment
- [D] Australian and Canadian Subnational Developments
- [1] Australia
- [2] Canada
- §1.04 THE LEAGUE OF NATIONS, OECD AND THE TRIUMPH OF ARM'S LENGTH SEPARATE ACCOUNTING ALLOCATION OF PROFITS AT THE INTERNATIONAL LEVEL
- §1.05 PRELUDE TO THE GLOBAL FINANCIAL CRISIS
- [A] Developing the Conceptual Case for Formulary Apportionment
- [B] Formulary Apportionment in California
- [C] Tentative Moves Towards Formulary Apportionment in the EU
- §1.06 FORMULARY APPORTIONMENT AFTER THE GLOBAL FINANCIAL CRISIS
- [A] Changes to the OECD's Transfer Pricing Methodology
- [B] The Stalling and Revival of Formulary Apportionment in the EU
- [C] Tax and Justice Organizations
- [D] Academic Literature
- §1.07 CONCLUSION
- Chapter 2 The US States' Experience with Formulary Apportionment
- §2.01 INTRODUCTION
- §2.02 WHAT DOES FORMULARY APPORTIONMENT' MEAN IN THE CONTEXT OF US STATE CORPORATE INCOME TAXES?
- [A] The Basic Concept
- [B] The Income Subject to Apportionment
- [1] US Constitutional Parameters: The Unitary Business Principle
- [2] State Law Applying the Unitary Business Principle
- [C] The Apportionment Formula
- [1] Constitutional Parameters: Fair Apportionment
- [2] State Laws Applying the Fair Apportionment Standard
- [a] Factor Weighting
- [b] Definition of 'Sales'
- [c] Sales Factor Numerator Sourcing
- [D] Jurisdiction to Tax
- [1] US Constitutional Parameter: Nexus
- [2] State Law Applying the Nexus Standard
- §2.03 HOW DID FORMULARY APPORTIONMENT DEVELOP IN THE US STATES?
- [A] Late 1800s: Genesis of the Unitary Business Principle in the Context of Property Tax
- [B] 1910-1920s: Application of the Unitary Business Principle to Corporate Income Tax
- [C] 1930s-1940s: California Combined Reporting
- [D] 1950s-1960s: Widespread Adoption of Uniform Formulary Apportionment
- [E] 1970s-1980s: Other States Consider Combined Reporting
- [F] 1980s-1990s: Worldwide Combined Reporting
- [G] 2000s-2020: Trends in Evidence Today
- §2.04 WHY DOES FORMULARY APPORTIONMENT PERSEVERE AS THE DE FACTO INCOME ATTRIBUTION METHOD FOR US STATES?
- [A] Relative Simplicity
- [B] Inherent Parameters and Incentives for Uniformity
- [C] Forums for Promoting Model Laws and Uniform Administrative Practices
- [D] Flexibility
- [1] Flexibility to Modify the Formula on a Case-by-Case Basis
- [2] Flexibility to Modify the Formula Generally
- Chapter 3 Formulary Apportionment in Canada and Taxation of Corporate Income in 2019: Current Practice, Origins and Evaluation
- §3.01 INTRODUCTION
- §3.02 FORMULARY APPORTIONMENT IN CANADA: WHY AND HOW
- [A] Provincial Taxation of Corporate Income in Canada and Multi-Provincial Firms
- [1] Provincial Taxation in Canada
- [2] Multi-Provincial Firms in Canada
- [B] The Formula
- §3.03 HISTORY
- §3.04 ISSUES AND ANALYSIS
- [A] The Effectiveness of Formulary Apportionment: Evidence from Canada on Tax Shifting
- [B] The Interaction of Formulary Apportionment and Equalization
- §3.05 CONCLUDING REMARKS
- Chapter 4 The Dream Is Alive: EU Tax Policy with a Common Consolidated Corporate Tax Base and Formulary Apportionment
- §4.01 INTRODUCTION
- §4.02 THE EUROPEAN UNION'S PATH TOWARDS FORMULARY APPORTIONMENT
- §4.03 PHASE 1: 1992 THE RUDING COMMITTEE REPORT
- §4.04 PHASE 2: 23 OCTOBER 2001 COMPANY TAXATION IN THE INTERNAL MARKET
- [A] Key Elements
- [B] How the Commission Came Up with Its Formula
- [1] First, Ask the Experts
- [2] Second, Identify Potential Sharing Factors
- [3] Third, Evaluate the Alternatives to Share the CCCTB
- [4] Ask the Member States
- [5] Presenting the CCCTB and Formulary Apportionment
- [C] How Did the European Business and Political Community React?
- §4.05 PHASE 3: MARCH 2011 THE COMMISSION PROPOSES FORMULARY APPORTIONMENT
- [A] Reactions
- [B] Revised Proposal
- [C] Digital Taxation
- §4.06 CONCLUSION
- Chapter 5 The Application of Formulary Apportionment to Related Entities: Lessons from the US Experience
- §5.01 INTRODUCTION
- §5.02 FEDERAL CONFORMITY AND CONSTITUTIONAL CONSIDERATIONS INFORMING THE US EXPERIENCE IN THE APPLICATION OF FORMULARY APPORTIONMENT TO RELATED ENTITIES
- [A] Federal Conformity Informing the US Experience in the Application of Formulary Apportionment to Related Entities
- [B] Federal Constitutional Rules Informing the US State Experience in the Application of Formulary Apportionment to Related Entities
- [1] The Distinction Between Consolidated and Combined Returns or Reports
- [2] Constitutional Restraints on the Apportionability of the Income of a Group of Related Corporations
- [a] General Principles Applicable to Corporations Reporting on a 'Separate Company' (as Distinguished from a 'Combined') Basis
- [b] Constitutional Approval of Combined Apportionment of the Income of a Group of Related Corporations
- §5.03 THE RELATIONSHIP BETWEEN THE APPORTIONMENT FACTORS AND THE APPORTIONABLE TAX BASE: FACTOR REPRESENTATION
- [A] Overview
- [B] Intangible Income Apportionable on the Basis of Payor-Payee Unity
- [1] Implementing Factor Representation Based on Payor-Payee Unity
- [a] Dividends
- [b] Intangible Income Other than Dividends
- [c] State Court Decisions Addressed to Factor Representation
- [C] Continuing Uncertainty
- §5.04 LESSONS
- [A] Legal Versus Economic Unity
- [B] Consolidated/Combined Versus Separate Company Reporting
- [C] State Legislation Restricting Worldwide Combined Reporting
- Part II Future Possibilities: Variations on the Formulary Apportionment Theme
- Chapter 6 Is Unilateral Formulary Apportionment Better than the Status Quo?
- §6.01 INTRODUCTION
- §6.02 DOES FORMULARY APPORTIONMENT REQUIRE TERRITORIALITY?
- §6.03 UNILATERAL FORMULARY APPORTIONMENT IN A TERRITORIAL SYSTEM
- §6.04 UNILATERAL FORMULARY APPORTIONMENT IN A WORLDWIDE SYSTEM
- §6.05 PROFIT SPLITS AND SIMILAR LIMITED FORMULARY APPROACHES
- §6.06 CONCLUSIONS
- Chapter 7 A Framework for Assessing Business Sector Formulary Apportionment
- §7.01 INTRODUCTION
- §7.02 AN OVERVIEW OF A PROPOSED FRAMEWORK
- §7.03 STEP 1: JUSTIFICATION FOR A BUSINESS SECTOR FORMULARY APPORTIONMENT APPROACH
- [A] Investigating the Current Model and Alternatives
- [B] Justifying a Sectoral Approach
- §7.04 STEP 2: THE BUSINESS SECTOR'
- §7.05 STEP 3: JURISDICTION TO TAX
- §7.06 STEP 4: SELECTING AN APPORTIONMENT FORMULA
- §7.07 CONCLUSION
- Part III The Evolving Intersections of Arm's Length Pricing and Formulary Apportionment and Alternatives
- Chapter 8 Between Arm's Length and Formulary Apportionment
- §8.01 INTRODUCTION
- §8.02 BETWEEN ARM'S LENGTH AND FORMULARY APPORTIONMENT
- [A] The Purpose of Transfer Pricing
- [B] The Limits of the Arm's Length Standard
- [C] Formulary Apportionment and Its Advantages
- [D] What Could a Mixed Arm's Length Standard/Formulary Apportionment Solution Look Like? The Theory
- [E] The Reality of Formulary Rules That Cannot Be Called Formulary
- [1] US Tax Law's Use of Formulary Apportionment
- [2] The European CCCTB Proposal
- [3] OECD BEPS Work
- [4] The Rhetoric of Non-formulary Apportionment
- §8.03 INTERNATIONAL COOPERATION, TAX COMPETITION, AND THE TRANSFER PRICING DEBATE
- §8.04 AUGMENTED REALITY? ON TRANSFER PRICING AND THE CHALLENGES PRESENTED BY THE DIGITAL ECONOMY
- §8.05 THE ARM'S LENGTH STANDARD, FORMULARY APPORTIONMENT, AND DEVELOPING COUNTRIES
- §8.06 CONCLUSION
- Chapter 9 Is Arm's Length Profit Split Methodology Morphing into a Formulary Apportionment Hybrid: The Chinese Example
- §9.01 INTRODUCTION
- §9.02 CHINA'S PROFIT SPLIT METHODOLOGY
- [A] Core Principles
- [B] When Should the PSM Be Applied?
- [1] The Most Appropriate Method
- [2] Do Reliable Comparables Exist?
- [C] How Should the PSM Be Applied?
- §9.03 LOCATION-SPECIFIC ADVANTAGES
- [A] The Concept of LSAs
- [B] Linkage with Marketing Intangibles
- [C] LSA Factors
- [1] Labour Costs
- [2] Market Size
- [3] Consumer Purchasing Power
- [4] Degree of Competition in the Market
- [5] Availability of Substitutes for Goods/Services
- [6] Government Regulations
- [7] Duty Savings
- [D] Allocation of LSAs
- §9.04 CONCLUSION
- Part IV Formulary Apportionment in an Evolving International Tax System
- Chapter 10 Value Creation and the Allocation of Profits under a Formulary Apportionment System
- §10.01 INTRODUCTION
- §10.02 THE VALUE CREATION PRINCIPLE
- [A] The Use of the Principle in Tax Debates
- [1] Current International Corporation Tax Debates
- [2] Formulary Apportionment Debates
- [B] The Meaning of Value Creation
- [1] In the Current International Corporation Tax Debate
- [2] In Formulary Apportionment Debates
- [C] Brief Critique of the Value Creation Principle
- §10.03 VALUE CREATION AND ALLOCATION FORMULAS
- [A] Factor Choice: Can All Sources of Value Creation Be Included as Factors in an Allocation Formula?
- [B] Factor Weighting: Can the Value Created by Each Factor Be Determined?
- [C] Is the Existing System Better at Allocating Profits in Line with Value Creation?
- §10.04 ALTERNATIVE GUIDING PRINCIPLES TO CHOOSE ALLOCATION FACTORS
- [A] The Nature of Corporation Tax
- [B] Criteria for Good Tax Design
- §10.05 CONCLUSION
- Chapter 11 Formulating the International Tax Debate: Where Does Formulary Apportionment Fit?
- §11.01 INTRODUCTION
- §11.02 BACKGROUND: THE ROAD TO FUKUOKA
- §11.03 INCLUSIVE FRAMEWORK PROPOSALS
- [A] Modified Residual Profit Split Method
- [B] A Distribution-Based Approach
- §11.04 'STRAW MEN' FOR PARTIALLY FORMULARY APPROACHES TO PROFIT ALLOCATION
- [A] The Capitalized Expenditure Method
- [1] What is Formulary Apportionment?
- [2] What is Destination-Based Residual Profit Allocation?
- [3] The Relationship Between the CE Method and Formulary Apportionment
- [4] Determining Destination under the CE Method
- [5] Unitary Approach under the CE Method
- [B] The Operating Margins Method
- [1] General Remarks
- [2] The Relationship Between the OM Method and Formulary Apportionment
- §11.05 CONCLUSION
- Part V Can International Tax Sharing Become Reality?
- Chapter 12 International Tax Sharing: Can the Dream Become Reality?
- §12.01 INTRODUCTION
- §12.02 TAXING CORPORATE INCOMES IN FEDERATIONS
- [A] Canada
- [B] The United States
- [C] Germany
- [D] Switzerland
- §12.03 THE EU ATTEMPTS TO GET ITS ACT TOGETHER
- §12.04 CAN INTERNATIONAL TAX SHARING BE DONE THROUGH VOLUNTARY COOPERATION?
- [A] International Tax Sharing in Practice
- [B] Towards a Workable Solution
- §12.05 CONCLUSION
- Index
- SERIES ON INTERNATIONAL TAXATION
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