Corporate tax refers to a tax levied by various jurisdictions on the profits made by companies or associations. As a general principle, the tax varies substantially between jurisdictions. In particular allowances for capital
expenditure and the amount of interest payments that can be deducted from gross
profits when working out the tax liability vary
substantially. Also, tax rates may vary depending on whether profits have been distributed to shareholders or not. Profits which
have been reinvested may not be taxed.
For example, in the United Kingdom, where the main corporate tax is called
corporation tax, depreciation on
many capital assets (excluding finance leases and certain intangible assets) is disallowable in computing taxable profits.
Instead, capital allowances (usually at the rate of 25% per annum on a reducing balance basis) may be claimed. In
France, however, depreciation is allowable, within certain rates per classes of asset set down by
statute.
Under an imputation tax system, some or all of the tax paid by the company may be
attributed pro rata to the shareholders by way of a tax credit to reduce the income tax
payable on a distribution. For many years, from 1973 to 1999, the UK
operated a partial imputation system, with shareholders being able to claim a tax credit reflecting advance corporation tax (ACT) paid by a company when a distribution was made. A company could
set ACT off against the annual corporation tax liability of the company.
Alternatively, in certain jurisdictions, distributions such as dividends are fully or
partially exempt from tax—for example, certain jurisdictions, such as Austria and
Germany, operate a "double income" system on distributions, with only half of the distribution
is subject to tax, or, equivalently, the tax rate is halved, and the Netherlands operates a
participation exemption under which certain distributions are exempt from tax. In Canada,
dividends taxable in the hands of eligible shareholders may qualify for a dividend tax credit
to compensate for taxes already paid by the corporation.
In the United States, the federal corporate rate is 35%. But since 1999, when Treasury announced the "check the box" system
many corporations can elect to be treated as a pass-through entity, thereby skipping the entity level 35% tax and having all
income pass through to the shareholders. This is the tax treatment that the much discussed "S"
corporations receive but now many more types of state-law corporation may avoid double taxation by "checking the box".
Dividends are also subject to a lower rate of income tax in the United States.
This federal corporate rate is the second highest rate among the world's most developed economies (those in the OECD -- the
Organisation for Economic Co-operation and
Development). Only Japan is higher. The median is 30.0%, with notably low rates for corporations headquartered in
Bulgaria (10%), Ireland (12.5%), Hungary (16.0%), Iceland (18.0%), Slovakia
and Poland (19.0%).[1]
See also
Notes
- ^ http://www.oecd.org/document/60/0,2340,en_2649_37427_1942460_1_1_1_37427,00.html
References
External links
This entry is from Wikipedia, the leading user-contributed encyclopedia. It may not have been reviewed by professional editors (see full disclaimer)