Debt and Equity: What's the Difference? A Comparative View
Journal
Max Planck Institute for Intellectual Property, Competition & Tax Law Research Paper
Type
journal article
Date Issued
2009-07
Author(s)
Schön, Wolfgang
Beuchert, Tobias
Roesener, Astrid
Gerten, Andreas
Haag, Maximilian
Heidenbauer, Sabine
Hohmann, Carsten
Kornack, Daniel
Lagdali, Nadja
Osterloh-Konrad, Christine
Polhausen, Carlo
Redeker, Philipp
Röder, Erik
Abstract
The divide between debt and equity belongs to the focal points of national and international tax law. Under domestic individual income tax law, it is crucial for the distinction between a creditor-debtor relationship and a full partnership of taxpayers jointly carrying on a business. Under domestic corporate income tax law, it is decisive for the application of a two-layer taxation of corporate profits and dividends. Under international income tax law, the allocation of taxing rights and the application of withholding taxation follows largely the distinction between debt and equity. Against this background, this article analyses on a comparative basis the major features of debt and equity under corporate law, accounting law and tax law in six jurisdictions (Austria, France, Germany, Switzerland, United Kingdom, United States). It becomes clear that the debt-equity divide is shaped differently for purposes of individual income taxation, corporate income taxation and international income taxation. While individual or corporate income taxation largely looks at the similarities between a full partner or a full shareholder on the one hand and the holder of a hybrid debt instruments on the other hand, international tax rules tend to include all sorts of profit-dependent payments under the rules for corporate profits and dividends. It remains to be seen whether the dependency of payments on contingent profits (or other proprietary elements of a business entity like turnover) forms a convincing rationale for the existing distinctions between debt and equity in the international tax arena or whether tax policy should opt for full or near equal treatment of these financial instruments.
Language
English
HSG Classification
contribution to scientific community
Publisher
Max Planck Institute for Intellectual Property, Competition & Tax Law
Publisher place
Munich
Number
09-09
Start page
1
End page
99
Pages
99
Official URL
Subject(s)
Eprints ID
248966
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