Abstract
Many U.S. nonprofits use offshore blocker corporations to avoid paying the debt-financed unrelated business income tax (UBIT). Some lawmakers and commentators, however, criticize the practice as abusive. This article takes a closer look at the issue. It concludes that the use of offshore blocker corporations does not undermine the main purposes of the debt-financed UBIT, but that the practice nevertheless raises some serious policy concerns. The article thus recommends that Congress reform this tax: either by eliminating the blocker corporation workaround to the debt-financed UBIT or, alternatively, by repealing the debt-financed UBIT completely but leaving in place or even expanding the debt-financed UBIT's reporting requirements.
Cite
CITATION STYLE
Silber, N. I., & Wei, J. C. (2015). The Use of Offshore Blocker Corporations by U.S. Nonprofits: Should Blockers Be Blocked? Nonprofit Policy Forum, 6(3), 353–370. https://doi.org/10.1515/npf-2015-0010
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