IRS Scrutiny and Corporate Innovation
Journal
Contemporary Accounting Research
ISSN
0823-9150
ISSN-Digital
1911-3846
Type
journal article
Date Issued
2020-11
Author(s)
Abstract
The Internal Revenue Service (IRS) administers tax laws enacted by Congress. As part of the IRS’s duties, they often consider taxpayers’ financial statements to help ensure accurate tax reporting and payments. We posit that enhanced financial statement disclosures of tax information under FASB Interpretation Number 48 (FIN 48) lead to more IRS scrutiny and alter the incentives for corporate innovation. Using patent applications as a measure of corporate innovation, we employ a difference-in-difference research design with publicly listed U.S. firms as the treatment group and privately held U.S. firms not subject to the disclosure requirements as the control group. We find robust evidence that following the onset of FIN 48, the number of patent applications by publicly listed firms decreased by 15.4% to 24.3% relative to private firms. This decline in patent applications is attributable to incremental innovation, suggesting that firms lower innovation related to projects with tax benefits that are more likely to be scrutinized by the taxing authorities. These findings suggest that there are real effects of IRS scrutiny and, in particular, real effects of tax disclosures under FIN 48 on corporate innovation.
Language
English
Keywords
IRS Scrutiny
Unrecognized Tax Benefits
FIN 48
Radical Innovation
Incremental Innovation
Patents
Backward Citations
HSG Classification
contribution to scientific community
HSG Profile Area
SoM - Business Innovation
Publisher
Wiley
Volume
Forthcoming
Division(s)
Contact Email Address
arthur.stenzel@unisg.ch
Eprints ID
257196