Working Paper

The Economics of the Global Minimum Tax

Guttorm Schjelderup, Frank Stähler
CESifo, Munich, 2023

CESifo Working Paper No. 10319

This paper shows that the OECD inclusive framework of Pillar Two fails to implement the claimed 15% minimum corporate tax for subsidiaries of multinational corporations. The reason is that the Substance-based Income Exclusion of Pillar Two allows to tax-deduct payroll costs and user costs of intangible assets twice from the tax base of the top-up tax. Employing a standard multinational firm model, we show that Pillar Two dampens tax motivated transfer pricing, but changes the employment, investment and import incentives. For a sufficiently large cost share of labor and/or capital, the Substance-based Income Exclusion is equivalent to a production subsidy.

Keywords: corporate taxation, BEPS, Pillar Two, minimum tax
JEL Classification: F230, F550, H250, H730