Book/Tax Conformity and Equity Compensation - Social Science Research Network - June 30, 2008

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http://papers.ssrn.com/sol3/papers.cfm?abstract_id=1153465


 


Book/Tax Conformity and Equity Compensation















DAVID I. WALKER
Boston University School of Law
VICTOR FLEISCHER
University of Illinois College of Law









June 30, 2008























 



Abstract:     



Should we require companies to report the same amount of income to the
IRS as they report to their shareholders? The idea behind "book/tax
conformity" is that managers' desire to increase reported earnings
would act as a check on their desire to minimize taxable income, and
vice versa. Some scholars have proposed a comprehensive approach,
adopting financial income as the basis for corporate taxation.
Legislators, meanwhile, have offered a targeted approach that singles
out equity compensation, which has historically been a significant
source of the "gap" between book income and taxable income.

This
Article argues that book/tax conformity carries unexplored costs that
reduce its attractiveness, at least in the context of equity
compensation (and quite possibly in other areas as well). Conforming
the employer's tax treatment of stock and options with the accounting
rules creates a paradox for employee-level taxation. Either employee
taxation is also conformed to book, which raises liquidity, fairness,
and other concerns, or we must diverge from section 83(h), which limits
the employer's deduction to the amount included by the employee as
income. Severing this link between the employer's deduction and the
employee's inclusion would eliminate an important check on tax
gamesmanship that is analogous to the check that book/tax conformity
proponents seek to create. Conforming tax deductions for options with
book, in other words, may simply trade one form of gamesmanship for
another.

More broadly, book/tax conformity must be evaluated in
light of (1) the cost of other gamesmanship that may result from
conformity, (2) the availability of other means of combating
manipulation, (3) potential distortions in compensation design, and (4)
effects on the decision to be a private or public company. We conclude
that equity compensation should be excluded from comprehensive book/tax
conformity regimes, and one-off proposals to conform employer taxation
of stock and options with book are probably misguided. On the other
hand, we suggest that if targeted conformity of equity compensation is
desired, revising the accounting rules for options to match those of
stock appreciation rights, which would yield conformity at the tax end
of the spectrum, possibly could improve upon the status quo.




 


Keywords: book/tax conformity, equity compensation

 


JEL Classifications: G30, H25, H26, J33, K22, K34, M41

 



Working Paper Series


 







Suggested Citation


Walker, David I. and Fleischer, Victor, "Book/Tax Conformity and Equity Compensation"
(June 30, 2008).
Available at SSRN: http://ssrn.com/abstract=1153465




















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Contact Information for
DAVID

I.

WALKER
(Contact Author)
























Email address for DAVID



I.

WALKER











Boston University School of Law







765 Commonwealth Avenue




Boston


, MA


02215



United States






























Contact Information for
VICTOR

FLEISCHER

























Email address for VICTOR



FLEISCHER











University of Illinois College of Law







504 E. Pennsylvania Avenue




Champaign


, IL


61820



United States







217-417-0541 (Phone)





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