A landmark comparison of corporate tax costs in all 50 states, Location Matters calculates and analyzes the tax burdens of eight model firms: a corporate headquarters, a research and development facility, a technology center, a data center, a shared services center, a distribution center, a capital-intensive manufacturer, and a labor-intensive manufacturer. Each firm is modeled twice, first as a new operation eligible for tax incentives and then as a mature operation not eligible for such incentives.
The result is a comprehensive calculation of real-world tax burdens designed as a resource for policymakers, corporate executives, trade organizations, site-selection experts, and media organizations. Location Matters provides the tools necessary to understand each state’s business tax system, going beyond headline rates to demonstrate how tax codes impact businesses, and offering policymakers a road map to improvement.
Below is a short excerpt of the full study, which can be downloaded at the link above. You can also explore the data with our interactive web tool and read more about key observations from the study.
Introduction: A Comparative Analysis of State TaxA tax is a mandatory payment or charge collected by local, state, and national governments from individuals or businesses to cover the costs of general government services, goods, and activities. Costs on Business
State and local taxes represent a significant business cost for corporations operating in the United States and can have a material impact on net operating margins. Consequently, business location decisions for new manufacturing facilities, corporate headquarter relocations, and the like are often influenced by assessments of relative tax burdens across multiple states.
Widespread interest in corporate tax burdens has resulted in a range of studies produced by think tanks, media organizations, and research groups. None of these other studies, however, provide comparisons of actual state business tax costs faced by real-world businesses.
Some studies compare total tax collections or business tax collections per capita or as a percent of total tax revenue. The shortcoming of this approach is that collections are not burdens: many business taxes are collected in one state but paid by companies in other states. Comparing state collections thus does not accurately portray the relative tax burden that real-world businesses would incur in each state.
Some studies assess the relative value of tax incentives available for different types of businesses, such as new job tax creditA tax credit is a provision that reduces a taxpayer’s final tax bill, dollar-for-dollar. A tax credit differs from deductions and exemptions, which reduce taxable income, rather than the taxpayer’s tax bill directly. s, new investment tax credits, sales tax exemptionA tax exemption excludes certain income, revenue, or even taxpayers from tax altogether. For example, nonprofits that fulfill certain requirements are granted tax-exempt status by the IRS, preventing them from having to pay income tax. s, and property taxA property tax is primarily levied on immovable property like land and buildings, as well as on tangible personal property that is movable, like vehicles and equipment. Property taxes are the single largest source of state and local revenue in the U.S. and help fund schools, roads, police, and other services. abatements. However, these studies can give the incorrect impression that all businesses in a state enjoy such incentives. They also do not typically account for increased tax rates for mature businesses that may be required to support such incentives.
Some studies, including the Tax Foundation’s widely cited annual State Business Tax Climate Index, define model tax structure principles and measure the state’s tax code relative to those principles. The State Business Tax Climate Index is a useful tool for lawmakers to understand how neutral and efficient their state’s tax system is compared to other states and to identify areas where their system can be improved. However, this does not address the bottom line question asked by many business executives: “How much will our company pay in taxes?”
An individual firm considering expansion frequently calculates its tax bill in various states, but these calculations are not often released publicly and are usually confined to a small number of states.
To fill the void left by these studies, the Tax Foundation collaborated with U.S. auditA tax audit is when the Internal Revenue Service (IRS) conducts a formal investigation of financial information to verify an individual or corporation has accurately reported and paid their taxes. Selection can be at random, or due to unusual deductions or income reported on a tax return. , tax, and advisory firm KPMG LLP to develop and publish a landmark, apples-to-apples comparison of corporate tax costs in the 50 states. Tax Foundation economists designed eight model firms—a corporate headquarters, a research and development facility, a technology center, a data center, a capital-intensive manufacturer, a labor-intensive manufacturer, a shared services center, and a distribution center—and KPMG modeling experts calculated each firm’s tax bill in each state. This study accounts for all business taxes, including corporate income taxA corporate income tax (CIT) is levied by federal and state governments on business profits. Many companies are not subject to the CIT because they are taxed as pass-through businesses, with income reportable under the individual income tax. es, property taxes, sales taxA sales tax is levied on retail sales of goods and services and, ideally, should apply to all final consumption with few exemptions. Many governments exempt goods like groceries; base broadening, such as including groceries, could keep rates lower. A sales tax should exempt business-to-business transactions which, when taxed, cause tax pyramiding. es, unemployment insurance taxes, capital stock taxes, inventory taxes, and gross receipts taxA gross receipts tax is a tax applied to a company’s gross sales, without deductions for a firm’s business expenses, like costs of goods sold and compensation. Unlike a sales tax, a gross receipts tax is assessed on businesses and apply to business-to-business transactions in addition to final consumer purchases, leading to tax pyramiding. es. Additionally, each firm was modeled twice in each state: once as a new firm eligible for tax incentives and once as a mature firm not eligible for such incentives.
Tax Foundation economists then used the raw model results to perform the ensuing industry and state comparisons. The result is a comprehensive calculation of real-world tax burdens, now in its third edition, that we designed as a valuable resource for a variety of stakeholders, to ensure that:
- Governors, legislators, and state officials can better understand and address their states’ competitive positions among the 50 states;
- CEOs, CFOs, and other corporate stakeholders can better evaluate the relative competitiveness of states in which they operate or states in which they are contemplating business investments;
- Businesses and trade organizations can better identify policy improvements for each state;
- Site-selection experts can screen states more quickly and accurately for consideration by their clients; and
- National, state, and local media organizations can more effectively report on the tax competitiveness of the 50 states.
The Location Matters study, together with our annual State Business Tax Climate Index, provides the tools necessary to understand each state’s business tax system and the burdens it imposes, offering a road map for improvement.
Study Overview and Key Findings
Chapter 1 outlines the objectives and scope of the study. This chapter describes the eight model firms that were analyzed, the specific taxes that were included in the study, the locations that were chosen in each state, and the other factors that could influence the results.
Chapter 2 presents an overview of the effective tax rates experienced by both new and mature operations for each of our eight model firm types and summarizes how various components and features of state tax systems contribute to the overall tax burdens these firms experience.
Chapter 3 summarizes the results for each state. The chapter is aimed at legislators and reporters seeking insight into states’ business tax systems, as well as at business owners and location consultants investigating the effects of states’ tax systems. The chapter outlines the major factors contributing to the effective tax rates experienced by our model firms in each state.
The Appendices provide further detail on the components comprising effective tax rates for each state and firm type and compare states’ incentives for new businesses. They also detail the study’s methodology and assumptions. The Appendices are valuable for conducting 50-state comparisons, understanding our modeling, and reviewing our source data.
For many readers, Location Matters will serve as a reference guide, not a book to read from cover to cover. As such, it may be valuable to summarize a few key findings:
- Statutory tax rates only tell part of the story. While topline rates are important and high rates may provide “sticker shock” for corporations considering locating within a given state, they are just one component of effective tax burdens. Tax incentives, apportionmentApportionment is the determination of the percentage of a business’ profits subject to a given jurisdiction’s corporate income or other business taxes. U.S. states apportion business profits based on some combination of the percentage of company property, payroll, and sales located within their borders. , throwback rules, and other factors can have a dramatic impact on effective tax burdens. In some cases, states with low statutory tax rates can impose high effective tax burdens, and vice versa.
- Corporate income taxes are just one part of the corporate tax burden. Corporate income taxes only account for more than one-fifth the average corporate tax burden for five of the 16 new and mature iterations of the eight firm models. Sales, property, and unemployment insurance taxes are highly significant components of a firm’s overall tax burden as well.
- Incentives disproportionately benefit new firms, often to the detriment of established operations. Because most tax incentives are developed to convince firms to relocate to, or increase hiring in, a given state, they disproportionately benefit new firms, often to the detriment of mature firms which experience higher tax burdens to subsidize these incentives. Businesses with longer time horizons may have cause to be wary of states which too substantially prioritize attracting new industries over maintaining modest rates for established operations.
- Incentive-heavy tax structures can undermine tax equity even among newly-established firms. While incentives overwhelmingly favor new firms over mature operations, they often discriminate among firm types as well, with the sort of incentives that favor one operation but do little or nothing to help another. As such, they tend to pick winners and losers and, while potentially making the state highly attractive to specific industries or firm profiles, can limit the state’s broader economic appeal across diversified business types.
- Different firm types experience dramatically different effective tax rates. Both because different firm types will vary in their exposure to major state and local taxes—distribution centers will be more sensitive to property taxes burdens, for instance, while retail establishments may be more significantly impacted by the sales tax—and because of differential treatment of different firm types under the tax code, businesses can experience dramatically different effective tax rates. The median effective tax rate for new shared service centers (which rarely receive tax incentives) is 26.1 percent, while the median rate for highly favored new R&D centers is 12.0 percent. The median rate for a mature labor-intensive manufacturing firm is 10.3 percent; the median mature distribution center, by contrast, experiences a 34.6 percent tax burden.
- The impact of corporate income and gross receipts taxes depends heavily on structure and firm type. Although gross receipts taxes generally have much lower statutory rates than traditional corporate income taxes, they are assessed on firms’ total receipts (sometimes less certain subtractions), not just net income. Some firm types benefit from this structure, while others are penalized by it. The relative impact of these two approaches to business taxation for any given firm type can also depend heavily on how nexus or, in the case of corporate income taxes, apportionment is treated.
Tax structure and ease of compliance are also important considerations for many firms but are not the subject of this study, which focuses exclusively on effective tax burdens. Our annual State Business Tax Climate Index takes tax structure into account and includes further analysis of the impact of tax structure on business decision-making and economic growth.
 See Sanja Gupta & Mary Ann Hoffman, “The Effect of State Income Tax Apportionment and Tax Incentives on New Capital Expenditures,” Journal of the American Taxation Association, Supplement 2003, 1-25; Timothy Bartik, “Business Location Decisions in the United States: Estimates of the Effects of Unionization, Taxes, and Other Characteristics of States,” Journal of Business and Economics Statistics 3:1 (January 1985), 14-28; James Papke and Lesie Papke, “Measuring Differential State-Local Tax Liabilities and Their Implications for Business Investment Location,” National Tax Journal 39:3 (1986), 357-366.
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