Affiliation:
1. University of Pennsylvania
2. The University of Iowa
3. The University of Texas at Austin
Abstract
ABSTRACT: FIN No. 48, Accounting for Uncertainty in Income Taxes (FASB 2006), requires firms to disclose tax reserves and to record changes in tax reserves at adoption of FIN No. 48 as cumulative effect adjustments in stockholders’ equity. We predict that between the enactment and adoption of FIN No. 48, relative to historical levels, firms settle disputes more often to potentially decrease visibility to the IRS and release reserves more often to reduce scrutiny and increase earnings (as opposed to retained earnings). We analyze 2005 and 2006 10-Qs and 10-Ks for the 100 largest nonfinancial, nonutility firms followed by analysts. Between enactment and adoption of FIN No. 48, relative to historical levels, firms report more settlements with tax authorities and release reserves more frequently. In addition, firms with higher IRS deficiencies are more likely to settle disputes. Between enactment and adoption of FIN No. 48, firms increased earnings by releasing $4.4 billion of tax reserves, nearly equaling the $4.5 billion released at adoption.
Publisher
American Accounting Association
Subject
Economics and Econometrics,Finance,Accounting
Reference51 articles.
1. Assessing corporate tax aggressiveness;Alexander,2008
2. The incentives for tax planning;Armstrong,2009
3. SEC encourages issuers to use own judgment in FIN No. 48 disclosures;Bahn,2007
4. What can we learn about uncertain tax benefits from FIN No. 48?;Blouin;National Tax Journal,2007
5. Tax contingencies: Cushioning the blow to earnings?;Blouin,2007
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