Chapter 5 Innovative Financial Instruments Dr. A. DeMaskey Security-Market Indicator Series.
Dr. A. DeMaskey Managing the Multinational Financial System International Finance.
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Transcript of Dr. A. DeMaskey Managing the Multinational Financial System International Finance.
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Dr. A. DeMaskey
Managing the Multinational Financial System
International Finance
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Learning Objectives
What are the principal transfer mechanisms that MNCs use to move funds among their various affiliates?
What are the three arbitrage opportunities available to MNCs that stem from their ability to shift liquidity internally?
What are the costs, benefits, and constraints associated with each transfer mechanism?
How can the MNC benefit from its internal financial transfer system?
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The Multinational Corporate Financial System The MNC can control the mode and timing of
internal financial transfers and thereby maximize global profits. Mode of Transfer
Transfer pricing Timing Flexibility
Leading and lagging
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The Value of the Multinational Financial System The ability to transfer funds and to reallocate
profits internally presents MNCs with three different types of arbitrage opportunities: Tax arbitrage Financial market arbitrage Regulatory system arbitrage
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Constraints on Positioning of Funds
Political constraint
Differential tax rates
Transaction costs
Liquidity requirements
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Intercompany Fund-Flow Mechanisms
Unbundling
Tax planning
Transfer pricing
Leading and lagging
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Unbundling of Fund Transfers
Breaking up total intracorporate transfer of funds into separate flows which correspond to the nature of payment.
Financial Payments Dividend remittance Interest and principal repayment
Operational Payments License and royalty fees
Management and technical assistance fees Overhead charges Transfer prices
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Intercompany Loans
Intercompany loans are valuable to MNCs if credit rationing, exchange controls, or differences in national tax rates exist. Direct Loans Back-to-Back Loans Parallel Loans
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Equity versus Debt
MNCs can realize several advantages from investing funds overseas in the form of loans rather than equity. Repatriation of Funds Tax Benefits Equity Investment
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Tax Factor
Total tax payments on internal funds transfers depend on the tax regulations of both the host and the recipient nations.
Types of taxes Corporate income tax Dividend withholding tax
If Td > Tf, parent companies must pay an incremental tax cost on remitted dividends and other payments.
Foreign tax credit
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Tax Planning (1)
Suppose an affiliate earns $1 million before taxes in Spain. It pays Spanish tax of $0.52 million and remits the remaining $0.48 million as a dividend to its U.S. parent.
Under current U.S. tax law, the U.S. tax owed on the dividend is calculated as:
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Tax Planning (2)
Suppose the Spanish government imposes a dividend withholding tax of 10%. What is the effective tax rate on the Spanish affiliate’s before-tax profits from the standpoint of its U.S. parent?
Under current U.S. tax law, the parent firm’s U.S. tax owed on the dividend is calculated as:
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Transfer Pricing
The most important uses of transfer pricing include: Reducing taxes Reducing tariffs Avoiding exchange controls Increasing profits from a joint venture Disguising profitability
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Tax Effects
MNCs can minimize taxes by using transfer prices to shift profits from the high-tax to the low-tax nation.
Set the transfer price as low as possible if
Set the transfer price as high as possible if
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Transfer Pricing: Tax Effect
Suppose Navistar’s Canadian subsidiary sells 1,500 trucks monthly to the French affiliate at a transfer price of $27,000 per unit.
The Canadian and French tax rates on corporate income equal 45% and 50%, respectively.
The transfer price can be set at any level between $25,000 and $30,000.
At what transfer price will corporate taxes paid be minimized?
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Tariffs
Ad-valorem import duty Levied on the invoice price of the imported
goods. Raising the transfer price will thus increase the
import duty. In general, the higher the ad-valorem tariff relative to the income tax differential, the more desirable it is to set a low transfer price.
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Transfer Pricing: Tariff Effect
Suppose the French government imposes an ad-valorem tariff of 15% on imported trucks.
How would this affect the optimal transfer pricing strategy, assuming that the ad-valorem tariff is paid by the French affiliate and is tax deductible?
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Constraints on Transfer Pricing
The transfer pricing mechanism is constrained by: Tax regulations in the parent and host
countries Working relationships with authorities in host
countries Interest and goals of local joint venture partner
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Tax Provisions
Section 482 of the U.S. IRS code Arm’s length transaction Methods of determining transfer prices:
Comparable uncontrolled price Resale price Cost-plus price Others
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Reinvoicing Center
Reinvoicing centers, located in tax havens, take title to goods and services used in intracorporate transactions.
The physical flow of goods from purchasing units to receiving units is not changed.
Basic purpose: Disguising profitability Avoiding government regulations Coordinating transfer pricing policy
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Leading and Lagging
Leading and lagging of interaffiliate payments is a common method of shifting liquidity from one unit to another. The value of leading and lagging is
determined by the opportunity cost of funds to both the paying and receiving units.
There is no formal debt obligation and no interest is charged up six months.
Government regulations on intercompany credit terms are tight and can change quickly.
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Leading and Lagging: Illustration
A U.S. parent owes its British affiliate $5 million. The timing of this payment can be changed by up to 90
days in either direction. The U.S. lending and borrowing rates are 3.2% and
4.0%, respectively. The U.K. lending and borrowing rates are 3.0% and
3.6%, respectively. If the U.S. parent is borrowing funds and the British
affiliate has excess funds, should the parent speed up or slow down its payment to the U.K.?
What is the net effect of the optimal payment activities in terms of changing the units’ borrowing costs and/or interest income?