DOI: 10.1002/jcaf.70050 ISSN: 1044-8136

U.S. Multinational Corporations’ Initial Income‐Shifting Response to the TCJA

Tyler P. Johnson

ABSTRACT

I find U.S. multinational corporations (MNCs) responded to the Tax Cuts and Jobs Act (TCJA) of 2017 by increasing income shifted to foreign sources in the first two years following the effective date. Financially constrained MNCs increased income shifting more, while higher operational uncertainty MNCs increased income shifting less than other MNCs. Moreover, MNCs that are likely to be subject to the base erosion and anti‐abuse tax (BEAT) increased income shifting less than other MNCs, while firms having a global intangible low‐taxed income (GILTI) inclusion were not discouraged from shifting income. MNCs that increased income shifting the most disclosed less information about their GILTI liabilities. My findings suggest that the GILTI provisions were not effective in curbing income shifting to foreign jurisdictions and that proposals such as the Global Minimum Tax are also unlikely to be effective if the rate is lower than the home country's corporate income tax rate.

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