This paper investigates whether the U.S. repatriation tax for U.S. multinational corporations affects foreign investment. Our results show that the locked-out cash due to repatriation tax costs is associated with a higher likelihood of foreign (but not domestic) acquisitions. We also find a negative association between tax-induced foreign cash holdings and the market reaction to foreign deals. This result suggests that the investment activity of firms with high repatriation tax costs is viewed by the market as less value-enhancing than that of firms with low tax costs, consistent with foreign investment of firms with high repatriation tax costs possibly reflecting agency-driven behavior. Keywords: Cash; Investment; Ta
In the midst of rapid integration and globalization, multinational firms still face tax systems that...
The American Jobs Creation Act (AJCA) significantly lowered US firms' tax cost when accessing their ...
We address two issues: 1. Do dividends from foreign subsidiaries depend on the residual home country...
U.S.-domiciled multinational firms are taxed on a worldwide basis under a credit and deferral system...
U.S. corporations hold significant amounts of cash on their balance sheets, and these cash holdings ...
US corporations hold significant amounts of cash on their balance sheets. This paper develops and te...
Using a global sample of multinational corporations (MNCs) and their foreign subsidiaries, we find t...
The Tax Cuts and Jobs Act of 2017 (TCJA) imposes a mandatory repatriation tax on multinational firms...
This paper investigates factors that influence the amount of foreign retained earnings permanently r...
The American Jobs Creation Act of 2004 (the Act) creates a temporary tax holiday that effectively re...
On October 22, 2004, President George W. Bush enacted a repatriation tax holiday under the American ...
This paper examines the determinants of profit repatriation policies for US multinational firms. Div...
This dissertation looks at the taxation of U.S. multinational firms and specifically at the taxation...
An open question in the literature on the taxation of multinational corporations is whether repatria...
Using a sample of listed U.S. multinationals in 1999-2016, we document a positive correlation betwee...
In the midst of rapid integration and globalization, multinational firms still face tax systems that...
The American Jobs Creation Act (AJCA) significantly lowered US firms' tax cost when accessing their ...
We address two issues: 1. Do dividends from foreign subsidiaries depend on the residual home country...
U.S.-domiciled multinational firms are taxed on a worldwide basis under a credit and deferral system...
U.S. corporations hold significant amounts of cash on their balance sheets, and these cash holdings ...
US corporations hold significant amounts of cash on their balance sheets. This paper develops and te...
Using a global sample of multinational corporations (MNCs) and their foreign subsidiaries, we find t...
The Tax Cuts and Jobs Act of 2017 (TCJA) imposes a mandatory repatriation tax on multinational firms...
This paper investigates factors that influence the amount of foreign retained earnings permanently r...
The American Jobs Creation Act of 2004 (the Act) creates a temporary tax holiday that effectively re...
On October 22, 2004, President George W. Bush enacted a repatriation tax holiday under the American ...
This paper examines the determinants of profit repatriation policies for US multinational firms. Div...
This dissertation looks at the taxation of U.S. multinational firms and specifically at the taxation...
An open question in the literature on the taxation of multinational corporations is whether repatria...
Using a sample of listed U.S. multinationals in 1999-2016, we document a positive correlation betwee...
In the midst of rapid integration and globalization, multinational firms still face tax systems that...
The American Jobs Creation Act (AJCA) significantly lowered US firms' tax cost when accessing their ...
We address two issues: 1. Do dividends from foreign subsidiaries depend on the residual home country...