Tax
G7 Countries Ink Minimum Corporate Tax Pact

The question remains as to what extent any such multilateral deal on tax rates can be agreed when the level of taxation is often a hot domestic issue, both when increases and cuts are on the table.
The Group of Seven (G7) nations agreed to set a floor on
corporate taxes at 15 per cent and give countries more powers to
tax digital businesses such as Apple and Facebook. Whether a
wider group of nations is willing to go along with such a pact,
given the thorny issue of tax sovereignty, remains to be
seen.
The G7 countries (Canada, France, Germany, Italy, Japan, the UK
and the US), agreed at a weekend meeting in the UK that
businesses should pay a minimum tax rate of at least 15 per cent
in each of the countries in which they operate.
In the US, the rate is 21 per cent, and this was slashed from 35
per cent under the Trump administration. Prior to this, the US
had one of the highest rates in the OECD collection of major
industrialized nations. The Biden administration has proposed
raising the corporate tax rate to 28 per cent and hiking the
existing minimum tax on foreign profits of US-based companies to
21 per cent from 10.5 per cent. A concern is that without some
kind of global accord, countries with lower rates will lure away
US business and encourage corporate tax arbitrage via offshore
centers.
The pact – which has not yet been signed into domestic law – begs
the question of what happens with countries such as Ireland,
which has a 12.5 per cent rate on trading income and is a
European Union member state. In Luxembourg, another EU member
state with a relatively light corporate tax regime, a 15 per cent
rate applies to companies with annual taxable income up to
€175,000 and a 17 per cent rate applies on firms with taxable
income over €200,000. In the UK – no longer in the EU – there is
a 19 per cent rate, and a 25 per cent “diverted profits tax” is
levied on multinational firms using artificial arrangements to
divert profits abroad to avoid UK tax.
Over the past few decades, corporate tax rates have eroded as
countries have sought to attract inward investment.
Norman Villamin, chief investment officer, wealth management, at
Geneva-based Union Bancaire Privée, said that investors will have
to adjust and be more choosy about the companies they hold.
“With falling effective corporate tax rates (from 31 per cent to
13 per cent currently) accounting for over 30 per cent of US
corporate profit growth since the turn of the century, companies
will have to increasingly rely on margin expansion and revenue
growth just to maintain the recent pace of profit growth,” he
said in a note. “With a fiscal and monetary tailwind, a cyclical
recovery in corporate revenue growth and margins appears likely
looking ahead.”
“However, with the innovation revolution rapidly shifting from
being narrowly focused to the digital space to the accelerating
investments in the green industrial space and with supply chains
shortening and domestic political opposition to outsourcing
growing, drivers to a new round of margin expansion do not appear
on the horizon, suggesting that stock picking should grow
increasingly valuable looking ahead,” Villamin said.
The changes proposed by Biden, along with the G7 pact, represents
the first reversal in corporate tax burden since the Reagan tax
reforms of the 1980s, he added.
US Treasury Secretary Janet Yellen said the global minimum rate
will end the “race-to-the-bottom in corporate taxation and ensure
fairness for the middle class and working people in the US and
around the world.”
“By collaborating with one another on the global minimum tax,
governments protect their national sovereignty to set tax policy,
because the pressures that have forced the race to the bottom on
corporate tax rates are alleviated,” she said. “This effort is
far from over, and we look forward to engaging closely with the
G20 and members of the OECD Inclusive Framework process in the
coming weeks to finalize an agreement on the global minimum
corporate tax as soon as possible.”
In the past, some commentators, such as CATO Institute author
Daniel Mitchell have claimed that attempts to set lower limits on
corporate tax amount to a kind of “tax cartel” and that it is
healthy for countries to compete with one another on tax,
otherwise there will be inevitable upward pressures on public
spending and tax burdens.
To some extent the move toward such a minimum rate continues
pressures exerted by large industrialized nations to squeeze
profit-shifting and the siting of tax registration hubs in
low-tax, no-tax financial centers, not all of which are
necessarily “offshore” as traditionally understood.