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U.S. Interest Allocation Rules: Effects and Policy
[report]
1994
unpublished
One of the important changes of the 1986 tax reform for U.S. multinationals is related to the allocation of interest expense. Prior to 1986, U.S. companies allocated domestic interest expense to the income of foreign affiliates on a non-consolidated basis according to the distribution of gross income or assets. After 1986, a U.S. multinational is required to allocate domestic interest expense on a consolidated basis according to the distribution of U.S. and foreign assets. We analyze the impact
doi:10.3386/w4712
fatcat:wlr6d6qdw5c65lkclcvaln54ha