Posted by moy23 on 6/9/2015 12:59:00 PM (view original):
Posted by bad_luck on 6/9/2015 11:57:00 AM (view original):
You're still missing the fact that where a company pays taxes on profits and where a company manufactures its products do not have to be the same place. Caterpillar has over 50 plants in the US but runs its profits through Switzerland.
I agree....
2 thoughts....
If their money is not in the US how will they ever reinvest it to grow their business in the US?
More importantly since I've been discussing FOREIGN investment in the US.... Do you disagree that lower corporate taxes and increased foreign direct investment are correlated? And if you do believe they are then how do you think foreign companies are spending that money?
Let's clear this up a little.
Your original argument contained several pieces. One of which was, we should lower corporate income tax rates so that companies, specifically Toyota and Honda, will reinvest profits and hire more people.
We know that Toyota and Honda already have US operations and revenue, so they already pay US corporate income tax.
We also know that payroll reduces the amount subject to corporate income tax because corporate income tax is applied only to profits, not gross income.
Lastly, we know that, if Toyota and Honda choose to take current revenue and reinvest it in the company through new facilities, new equipment, and new employees, that revenue won't be subject to corporate income tax.
Knowing all those things, we know that the corporate income tax rate has no impact whatsoever on the hiring decisions of Toyota and Honda.
If you're changing your argument to: "we should allow companies to repatriate revenue that they stashed offshore to avoid taxes in the hope that they reinvest it," I'd say sure, with one caveat: that companies be required to reinvest the repatriated income in job growth activity. Any money repatriated that doesn't go directly into job growth activity is still subject to the normal corporate income tax rules.
6/9/2015 1:28 PM (edited)