Unexpected Consequence of US Tax Reform: International Patent Pinball
IP intensive US corporations have gained a tangible, potentially very profitable benefit from the tax reform signed into law in December 2017. A new provision reduces taxes on “foreign derived intangible income,” i.e., Intellectual Property (IP) — primarily patents. However, in yet another “all that glitters…,” this new benefit doesn’t arrive without its requirements for a
new level of analysis and decision-making.
The US action to reduce the asset rate has not gone unnoticed by these other countries. Several are revising their tax rate in response to and to outflank the US change. This has driven US corporations with overseas operations to reengage in asset number crunching — aka patent pinball — to
what amounts to revenue one-up-manship, patent pinball is certain to become an ongoing game.