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Tax shelter

Tax shelters are any method of reducing taxable income resulting in a reduction of the payments to tax collecting entities, including state and federal governments.[1] The methodology can vary depending on local and international tax laws.

Types of tax shelters edit

Some tax shelters are questionable or even illegal:

  • Offshore companies. Due to differing tax rates and legislation in each country, tax benefits can be exploited. Example: If Import Co. buys $1 of goods from India and sells for $3, Import Co. will pay tax on $2 of taxable income. However, tax benefits can be exploited if Import Co. is to set up an offshore subsidiary in the British Virgin Islands to buy the same goods for $1, sell the goods to Import Co. for $3 and sell it again in the domestic market for $3. This allows Import Co. to report taxable income of $0 (because it was purchased for $3 and sold for $3), thus paying no tax. While the subsidiary will have to pay tax on $2, the tax is payable to the tax authority of British Virgin Islands. Since the British Virgin Islands has a corporate tax rate of 0%, no taxes are payable.
  • Financing arrangements. By paying unreasonably high interest rates to a related party, one may severely reduce the income of an investment (or even create a loss), but create a massive capital gain when one withdraws the investment. The tax benefit derives from the fact that capital gains are taxed at a lower rate than the normal investment income such as interest or dividend.

The flaws of these questionable tax shelters are usually that transactions were not reported at fair market value or the interest rate was too high or too low. In general, if the purpose of a transaction is to lower tax liabilities but otherwise have no economic value, and especially when arranged between related parties, such transactions are often viewed as unethical. The agency may re-evaluate the price, and will quickly neutralize any over tax benefits. However, such cases are difficult to prove. A soft drink from a vending machine can cost $1.75, but may also be bought in bulk for $0.25. To prove that the price is in fact unreasonable may turn out to be reasonably difficult itself.

Other tax shelters can be legal and legitimate:

  • Flow-through shares/limited partnerships. Certain companies, such as mining or oil drilling often take several years before they can generate positive income, while many of them will go under. This normally deters common investors who demand quick, or at least safe, returns. To encourage the investment, the US government allows the exploration costs of the company to be distributed to shareholders as tax deductions (not to be confused with tax credits). Investors are rewarded by 1) the near instant tax savings 2) the potential massive gains if the company discovers gold or oil. In US terminology, these entities are given the generic title of "limited partnership" and in the past they may have simply been called a "tax shelter", being an archetypical tax shelter. However the IRS limited the popularity of these plans by allowing the losses to only offset passive (investment) income as opposed to earned income.
  • Retirement plan. In order to reduce burden of the government-funded pension systems, governments may allow individuals to invest in their own pension. In the USA these sanctioned programs include Individual Retirement Accounts (IRAs) and 401(k)s. The contributed income will not be taxable today, but will be taxable when the individual retires. The advantage to these plans is that money that would have been taken out as taxes is now compounded in the account until the funds are withdrawn. With the Roth IRA and the newly introduced ([2006]) Roth 401(k), income is taxed before the contributions are made into the account but are not taxed when the funds are withdrawn. This option is preferred by those workers who expect to be in a higher tax bracket during retirement than they currently are. A similar system is available in the United Kingdom and is known as the Individual Savings Account.

These tax shelters are usually created by the government to promote a certain desirable behavior, usually a long-term investment, to help the economy; in turn, this generates even more tax revenue. Alternatively, the shelters may be a means to promote social behaviors. In Canada, in order to protect the Canadian culture from American influence, tax incentives were given to companies that produced Canadian television programs.

In general, a tax shelter is any organized program in which many individuals, rich or poor, participate to reduce their taxes due.[2] However, a few individuals stretch the limits of legal interpretation of the income tax laws. While these actions may be within the boundary of legally accepted practice in physical form, these actions could be deemed to be conducted in bad faith. Tax shelters were intended to induce good behaviors from the masses, but at the same time caused a handful to act in the opposite manner. Tax shelters have therefore often shared an unsavory association with fraud.

Judicial doctrines edit

Aside from the attempts to stop tax shelters in the United States through provisions of the U.S. Internal Revenue Code, U.S. courts have several ways to prevent tax sheltering activities from happening. The judicial doctrines have a basic theme: to invalidate a transaction that would achieve a result contradictory to the intent or basic structure of the tax code provisions at issue. The following are the judicial doctrines:

1) The Substance over form doctrine

This doctrine is based on the premise that if two transactions have the same economic result, they should have the same tax result. To achieve this similar tax result, it can be necessary to look at the substance of the transaction rather than the formal steps taken to implement it.

2) The Step transaction doctrine

Similar to the substance doctrine, the step transaction doctrine treats a series of formally separate steps as a single transaction to determine what really was going on with the transaction.

3) The Business Purpose Doctrine

Courts will invalidate a transaction for tax purposes under this doctrine when it appears that the taxpayer was motivated by no business purpose other than to avoid tax or secure some tax benefit. This judicial inquiry largely is dependent on the taxpayer's intent.

4) The Sham Transaction Doctrine

This doctrine looks for transactions where the economic activities giving rise to the tax benefits do not occur. A clear example of this doctrine is seen in Knetsch v. United States, 364 U.S. 361. Sham transactions are classified as being one of two types, sham-in-substance, or sham-in-fact.

5) The Economic Substance Doctrine

Under this doctrine, courts will invalidate the tax transaction if the transaction lacks economic substance independent of the tax considerations. This doctrines questions whether the purported economic activity would have occurred absent the tax benefits claimed by the taxpayer.[3]

Statutory provisions edit

In 2010, the U.S. Congress amended the Internal Revenue Code to codify and clarify the rules for applying these doctrines under the overall heading of the "Economic Substance Doctrine." The codification is found in subsection (o) of Section 7701 of the Code.[4] Under the Code, a taxpayer must (with certain exceptions) meet both of the following tests in order for a transaction to be respected. The transaction must change, in a meaningful way, the taxpayer's economic position apart from the Federal income tax effects, and (B) the taxpayer must have a substantial purpose for entering into such transaction, apart from its Federal income tax effects.[5] Under the Code, the term "economic substance doctrine" is defined as the common law doctrine under which Federal income tax benefits with respect to a transaction are not allowable if the transaction does not have economic substance or lacks a business purpose.[6] The step transaction doctrine is incorporated into the codification.[7]

See also edit

References edit

  1. ^ "Tax Shelter - Explained". The Business Professor, LLC. Retrieved 2023-07-27.
  2. ^ ""The Investment Puzzle: IRA vs. TSA" . Virginia L. Bean, W. Peter Salzarulo, Richard F. Bebee and Josiah T. S. Horton Academe. Vol. 68, No. 3 . May - Jun., 1982, pp. 15-20 Published by: American Association of University Professors". JSTOR 40248939. {{cite journal}}: Cite journal requires |journal= (help)
  3. ^ Samuel A. Donaldson, Federal Income Taxation of Individuals: Cases, Problems and Materials, pp. 730-734 (2nd ed. 2007), St. Paul: Thompson West.
  4. ^ See generally 26 U.S.C. § 7701.
  5. ^ Internal Revenue Code section 7701(o)(1).
  6. ^ Internal Revenue Code section 7701(o)(5)(A).
  7. ^ See section 7701(o)(5)(D).

External links edit

  • The Internal Revenue Service on tax shelters

shelter, this, article, multiple, issues, please, help, improve, discuss, these, issues, talk, page, learn, when, remove, these, template, messages, examples, perspective, this, article, represent, worldwide, view, subject, improve, this, article, discuss, iss. This article has multiple issues Please help improve it or discuss these issues on the talk page Learn how and when to remove these template messages The examples and perspective in this article may not represent a worldwide view of the subject You may improve this article discuss the issue on the talk page or create a new article as appropriate March 2017 Learn how and when to remove this template message This article relies largely or entirely on a single source Relevant discussion may be found on the talk page Please help improve this article by introducing citations to additional sources Find sources Tax shelter news newspapers books scholar JSTOR March 2017 Learn how and when to remove this template message Tax shelters are any method of reducing taxable income resulting in a reduction of the payments to tax collecting entities including state and federal governments 1 The methodology can vary depending on local and international tax laws Contents 1 Types of tax shelters 2 Judicial doctrines 3 Statutory provisions 4 See also 5 References 6 External linksTypes of tax shelters editSome tax shelters are questionable or even illegal Offshore companies Due to differing tax rates and legislation in each country tax benefits can be exploited Example If Import Co buys 1 of goods from India and sells for 3 Import Co will pay tax on 2 of taxable income However tax benefits can be exploited if Import Co is to set up an offshore subsidiary in the British Virgin Islands to buy the same goods for 1 sell the goods to Import Co for 3 and sell it again in the domestic market for 3 This allows Import Co to report taxable income of 0 because it was purchased for 3 and sold for 3 thus paying no tax While the subsidiary will have to pay tax on 2 the tax is payable to the tax authority of British Virgin Islands Since the British Virgin Islands has a corporate tax rate of 0 no taxes are payable Financing arrangements By paying unreasonably high interest rates to a related party one may severely reduce the income of an investment or even create a loss but create a massive capital gain when one withdraws the investment The tax benefit derives from the fact that capital gains are taxed at a lower rate than the normal investment income such as interest or dividend The flaws of these questionable tax shelters are usually that transactions were not reported at fair market value or the interest rate was too high or too low In general if the purpose of a transaction is to lower tax liabilities but otherwise have no economic value and especially when arranged between related parties such transactions are often viewed as unethical The agency may re evaluate the price and will quickly neutralize any over tax benefits However such cases are difficult to prove A soft drink from a vending machine can cost 1 75 but may also be bought in bulk for 0 25 To prove that the price is in fact unreasonable may turn out to be reasonably difficult itself Other tax shelters can be legal and legitimate Flow through shares limited partnerships Certain companies such as mining or oil drilling often take several years before they can generate positive income while many of them will go under This normally deters common investors who demand quick or at least safe returns To encourage the investment the US government allows the exploration costs of the company to be distributed to shareholders as tax deductions not to be confused with tax credits Investors are rewarded by 1 the near instant tax savings 2 the potential massive gains if the company discovers gold or oil In US terminology these entities are given the generic title of limited partnership and in the past they may have simply been called a tax shelter being an archetypical tax shelter However the IRS limited the popularity of these plans by allowing the losses to only offset passive investment income as opposed to earned income Retirement plan In order to reduce burden of the government funded pension systems governments may allow individuals to invest in their own pension In the USA these sanctioned programs include Individual Retirement Accounts IRAs and 401 k s The contributed income will not be taxable today but will be taxable when the individual retires The advantage to these plans is that money that would have been taken out as taxes is now compounded in the account until the funds are withdrawn With the Roth IRA and the newly introduced 2006 Roth 401 k income is taxed before the contributions are made into the account but are not taxed when the funds are withdrawn This option is preferred by those workers who expect to be in a higher tax bracket during retirement than they currently are A similar system is available in the United Kingdom and is known as the Individual Savings Account These tax shelters are usually created by the government to promote a certain desirable behavior usually a long term investment to help the economy in turn this generates even more tax revenue Alternatively the shelters may be a means to promote social behaviors In Canada in order to protect the Canadian culture from American influence tax incentives were given to companies that produced Canadian television programs In general a tax shelter is any organized program in which many individuals rich or poor participate to reduce their taxes due 2 However a few individuals stretch the limits of legal interpretation of the income tax laws While these actions may be within the boundary of legally accepted practice in physical form these actions could be deemed to be conducted in bad faith Tax shelters were intended to induce good behaviors from the masses but at the same time caused a handful to act in the opposite manner Tax shelters have therefore often shared an unsavory association with fraud Judicial doctrines editAside from the attempts to stop tax shelters in the United States through provisions of the U S Internal Revenue Code U S courts have several ways to prevent tax sheltering activities from happening The judicial doctrines have a basic theme to invalidate a transaction that would achieve a result contradictory to the intent or basic structure of the tax code provisions at issue The following are the judicial doctrines 1 The Substance over form doctrineThis doctrine is based on the premise that if two transactions have the same economic result they should have the same tax result To achieve this similar tax result it can be necessary to look at the substance of the transaction rather than the formal steps taken to implement it 2 The Step transaction doctrineSimilar to the substance doctrine the step transaction doctrine treats a series of formally separate steps as a single transaction to determine what really was going on with the transaction 3 The Business Purpose DoctrineCourts will invalidate a transaction for tax purposes under this doctrine when it appears that the taxpayer was motivated by no business purpose other than to avoid tax or secure some tax benefit This judicial inquiry largely is dependent on the taxpayer s intent 4 The Sham Transaction DoctrineThis doctrine looks for transactions where the economic activities giving rise to the tax benefits do not occur A clear example of this doctrine is seen in Knetsch v United States 364 U S 361 Sham transactions are classified as being one of two types sham in substance or sham in fact 5 The Economic Substance DoctrineUnder this doctrine courts will invalidate the tax transaction if the transaction lacks economic substance independent of the tax considerations This doctrines questions whether the purported economic activity would have occurred absent the tax benefits claimed by the taxpayer 3 Statutory provisions editIn 2010 the U S Congress amended the Internal Revenue Code to codify and clarify the rules for applying these doctrines under the overall heading of the Economic Substance Doctrine The codification is found in subsection o of Section 7701 of the Code 4 Under the Code a taxpayer must with certain exceptions meet both of the following tests in order for a transaction to be respected The transaction must change in a meaningful way the taxpayer s economic position apart from the Federal income tax effects and B the taxpayer must have a substantial purpose for entering into such transaction apart from its Federal income tax effects 5 Under the Code the term economic substance doctrine is defined as the common law doctrine under which Federal income tax benefits with respect to a transaction are not allowable if the transaction does not have economic substance or lacks a business purpose 6 The step transaction doctrine is incorporated into the codification 7 See also editAsset protection ATTAC NGO s criticism of tax haven and underground economy Corporate haven Corporate Inversion Free port Free economic zone International Business Corporation List of offshore financial centres Money laundering Offshore bank Offshore company Offshore Financial Centres Offshore trust Panama Papers Paradise Papers Qualified personal residence trust Son of BOSS Tax exemption Tax resistance Tax exile Tax exporting Tax haven Tax noncomplianceReferences edit Tax Shelter Explained The Business Professor LLC Retrieved 2023 07 27 The Investment Puzzle IRA vs TSA Virginia L Bean W Peter Salzarulo Richard F Bebee and Josiah T S Horton Academe Vol 68 No 3 May Jun 1982 pp 15 20 Published by American Association of University Professors JSTOR 40248939 a href Template Cite journal html title Template Cite journal cite journal a Cite journal requires journal help Samuel A Donaldson Federal Income Taxation of Individuals Cases Problems and Materials pp 730 734 2nd ed 2007 St Paul Thompson West See generally 26 U S C 7701 Internal Revenue Code section 7701 o 1 Internal Revenue Code section 7701 o 5 A See section 7701 o 5 D External links editThe Internal Revenue Service on tax shelters Retrieved from https en wikipedia org w index php title Tax shelter amp oldid 1213777183, wikipedia, wiki, book, books, library,

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