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Companies Too Big to Invert Would Take Brunt of Obama Tax Plan

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Citigroup Center (AP Photo)

Citigroup Center (AP Photo)

 

(Bloomberg) — President Barack Obama’s proposal to tax the offshore profits of U.S. corporations could encourage all but the largest companies to follow their cash hoard overseas, according to business leaders and tax lawyers.

The plan would levy a one-time tax of 14 percent on the $2.1 trillion U.S. companies have stockpiled abroad, sidestepping the Internal Revenue Service. It also calls for a 19 percent minimum tax on future foreign earnings. The prospect of those increased taxes could spur some companies to relinquish their U.S. residency altogether — either by merging with a foreign partner in a corporate inversion or finding a foreign buyer, according to J. Richard Harvey, a former senior official for the Treasury Department and the IRS.

Tax lawyers said there could even be a rush to do so to avoid limitations the administration is also proposing on inversions, in which U.S. companies shift their addresses overseas to tax-friendly locations.

“They are already looking to invert under current law, so if you lay over additional taxes, it seems inevitable that there will be even more incentive for them to get out of Dodge,” said Harvey, a tax professor at Villanova School of Law in Pennsylvania.

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Oakland Post: Week of April 8 – 14, 2026

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Business

Companies Too Big to Invert Would Take Brunt of Obama Tax Plan

Published

on

Citigroup Center (AP Photo)

Citigroup Center (AP Photo)

 

(Bloomberg) — President Barack Obama’s proposal to tax the offshore profits of U.S. corporations could encourage all but the largest companies to follow their cash hoard overseas, according to business leaders and tax lawyers.

The plan would levy a one-time tax of 14 percent on the $2.1 trillion U.S. companies have stockpiled abroad, sidestepping the Internal Revenue Service. It also calls for a 19 percent minimum tax on future foreign earnings. The prospect of those increased taxes could spur some companies to relinquish their U.S. residency altogether — either by merging with a foreign partner in a corporate inversion or finding a foreign buyer, according to J. Richard Harvey, a former senior official for the Treasury Department and the IRS.

Tax lawyers said there could even be a rush to do so to avoid limitations the administration is also proposing on inversions, in which U.S. companies shift their addresses overseas to tax-friendly locations.

“They are already looking to invert under current law, so if you lay over additional taxes, it seems inevitable that there will be even more incentive for them to get out of Dodge,” said Harvey, a tax professor at Villanova School of Law in Pennsylvania.

READ MORE

Continue Reading
Click to comment

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Activism

Oakland Post: Week of April 8 – 14, 2026

The printed Weekly Edition of the Oakland Post: Week of April 8 – 14, 2026

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Oakland Post: Week of April 1 – 7, 2026

The printed Weekly Edition of the Oakland Post: Week of April 1 – 7, 2026

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Oakland Post: Week of March 18 – 24, 2026

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