Pursuant to a congressional request, GAO provided an update to its
report on the nonpayment of U.S. income taxes by foreign-controlled
corporations (FCC) and U.S.-controlled corporations (USCC), focusing on
comparisons of: (1) the percentages of FCCs and USCCs that filed income
tax returns showing no tax liabilities for 1989 through 1995, the latest
years for which data were available; and (2) selected characteristics,
including age, industrial sector, and certain cost ratios, of large
corporations--those with assets of $250 million or more or gross
receipts of $50 million or more.
GAO noted that: (1) in each year between 1989 and 1995, a majority of
corporations, both foreign- and U.S.-controlled, paid no U.S. income
tax; (2) among large corporations, the percentage of FCCs that paid no
tax exceeded that for USCCs from 1989 through 1993; (3) in 1994, the
difference between the two groups was not statistically significant, and
in 1995, the percentage of large FCCs that paid no U.S. income tax was
slightly less than that of large USCCs; (4) differences in the
characteristics of large FCCs and USCCs may account for part of the
differences in the amount of taxes paid by the two groups; (5) one
difference was the percentage of new corporations--3 years old or
less--in each group; (6) the Internal Revenue Service data GAO reviewed
indicate that newer corporations were less likely than older
corporations to pay taxes; (7) from 1989 to 1993, a greater percentage
of large FCCs than large USCCs were new, but from 1994 to 1995, a
greater percentage of large USCCs than large FCCs were new; (8) another
significant difference between large FCCs and large USCCs was in their
distribution across industrial sectors; (9) in 1995, in comparison to
large USCCs, large FCCs were more heavily concentrated in the
manufacturing and wholesale trade sectors and less concentrated in the
financial services sector; (10) aggregate ratios of costs to receipts
for all large corporations differed significantly across industrial
sectors; (11) the difference in cost ratios across industries, combined
with the fact that large FCCs and USCCs were concentrated in different
industries, could account for some of the difference in the amount of
taxes that large FCCs paid per dollar of receipts and that large USCCs
paid; and (12) the ratio of taxable income per dollar of receipts should
be inversely related to the ratio of costs per dollar of receipts.
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