Capital Cost Recovery across the OECD

Taxes

Key Findings

  • A capital allowance is the amount of capital investment costs a business can deduct from its revenue through the tax code via depreciation.
  • Ideally, countries should provide higher capital allowances, as they can boost business investment which, in turn, spurs economic growth.
  • The average of OECD countries’ capital allowances gradually decreased between 2000 and 2017, followed by an increase between 2018 and 2021.
  • The United Kingdom adopted a 130 percent super-deduction for plant and equipment as part of a transition to a higher corporate tax rate.
  • Rising inflation creates pressure on business investment, and Mexico is currently the only OECD country that adjusts capital allowances for inflation.
  • Several smaller OECD countries not only allow higher capital allowances but also levy lower corporate income tax rates, making them more attractive for capital investment.

Introduction

The ongoing economic uncertainty from the COVID-19 pandemic, supply chain disruptions, and current inflationary pressures have highlighted the importance of investment. Policymakers around the world are working to support critical infrastructure, the greening of the economy, and gear their economic policies toward sustainable growth.

In 2019, prior to the pandemic, private sector investment in OECD countries outpaced public investment by five to one. According to data from the International Monetary Fund (IMF), the average OECD country saw nearly $300 billion in private investment compared to $55 billion in public investment. Ensuring a stable environment for business investment will be critical in the coming years.[1]

Although sometimes overlooked in discussions about corporate taxation, capital cost recovery plays an important role in defining a business’s corporate tax base and can impact these investment decisions—with far-reaching consequences. When businesses are not allowed to fully deduct capital expenditures in real terms, they make fewer capital investments, which also reduces worker productivity and wages.[2] Thus, businesses should be allowed to fully deduct their capital investments in real terms—either through full expensing or neutral cost recovery.[3]

Capital cost recovery varies greatly across OECD countries, ranging from 100 percent in real terms in Chile, Estonia, and Latvia to only 49.6 percent in New Zealand and 58.0 percent in Colombia (covering industrial buildings, machinery, and intangibles). After a year in which many OECD countries changed their capital allowances rules due to the pandemic, the only major change to rules in 2021 was done by the United Kingdom in the form of a 130 percent deduction for plant and equipment (referred to as “machinery” in this report).

On average, businesses in the OECD can recover 70.7 percent of the cost of capital investments in real terms. Investments in machinery enjoy the best treatment, with an OECD average of 87.2 percent, followed by intangibles (77.5 percent) and industrial buildings (50.7 percent). In 2000, businesses were able to recover on average 70.4 percent of capital investment costs in the OECD, followed by a gradual decline and then an increase beginning in 2018.

Inflationary pressures will decrease the value of capital cost allowances and thus increase the cost of new investments. For consistency, this report assumes an inflation rate of 2 percent, but such a low inflation rate is a rare thing in the current economy. Mexico is currently the only OECD country to adjust its capital allowances for inflation.

Since 2000, statutory corporate income tax rates have declined significantly across the world and in OECD countries.[4] However, as the average tax treatment of capital investments worsened for most of the last two decades, the benefits of lower statutory rates for investment and growth were partially offset. This broadening of tax bases through lower capital allowances is one of the reasons why corporate tax revenues had been growing or were stable around the world despite declining statutory rates.[5]

The Basics of Depreciation Schedules and Capital Allowances

Before exploring the data more closely, it is worth understanding some of the terminology used in this area of corporate taxation:

  • Governments set depreciation schedules to define how businesses can deduct their capital investment costs from their revenues over several years.
  • The amount of investment costs a business can deduct in a year is called a capital allowance.
  • Full expensing allows businesses to deduct the full cost of a capital investment in the year of acquisition rather than following a multiyear depreciation schedule.
  • Accelerated depreciation or bonus depreciation increases capital allowances in earlier years and is often used to stimulate investment during economic downturns.
  • Capital cost recovery rates reflect the net present value of capital allowances a business can deduct for a given capital investment over the full depreciation period.

Businesses determine their profits by subtracting costs (such as wages, raw materials, and equipment) from revenue. However, in most jurisdictions, capital investments are not treated like other regular costs that can be subtracted from revenue in the year that the money is spent. Instead, depreciation schedules specify the life span of an asset—often derived from the economic life of an asset—and determine the number of years over which an asset must be written off. By the end of the depreciation period, the business would have deducted the initial dollar cost of the asset.[6] However, in most cases, depreciation schedules do not consider the time value of money (a normal return plus inflation).[7]

Depreciation schedules can be based on different methods, with straight-line depreciation and declining-balance depreciation the most common. The methods define how annual capital allowances are calculated. While the straight-line method depreciates an asset by an equal allowance each year, the declining-balance method bases the annual allowance on the remaining book value of the asset. (See the Appendix for example calculations.)

Such depreciation schedules define how much of capital investment costs a business can deduct in real terms. For instance, assume a machine costs $10,000 and is subject to a life span of 10 years. Under straight-line depreciation, a business could deduct $1,000 every year for 10 years. However, due to the time value of money, a deduction of $1,000 in later years is not as valuable in real terms as today’s deduction. If inflation is 2 percent and the required real return on investment is 5.5 percent, then at the end of the 10-year period, the value of that last deduction will be just $522 in today’s terms. In total, the business will only be able to deduct $7,379 instead of the full $10,000, just 73.8 percent of the total. This understates true business costs and inflates taxable profits, effectively taxing profits that do not exist.

This effect becomes exaggerated with longer depreciation schedules and higher inflation. Lower capital allowances, and thus a higher cost of capital, can lead to a decline in business investment and reductions in the productivity of capital and lower wages.[8]

Capital allowances can be expressed as a percentage of the net present value of investment costs that businesses can write off over the life of an asset—the so-called capital cost recovery rate. A 100 percent capital cost recovery rate represents a business’s ability to deduct the full cost of the investment (including a normal return plus inflation) over its life (e.g., through full expensing or neutral cost recovery). A capital cost recovery rate above 100 percent represents the possibility for businesses to deduct more than the full cost of an investment. The lower the capital cost recovery rate, the more a business’s taxable income is inflated and the more its tax bill is overstated, making capital investment more expensive.

Capital Allowances and Economic Growth

Although sometimes overlooked as a more technical issue, capital allowances can have important economic impacts. Depending on their structure, they can either boost or slow investment which, in turn, impacts economic growth.

Lower Capital Allowances Lead to Slower Economic Growth

Any cost recovery system that does not allow the full write-off of an investment—full expensing—in the year the investment is made denies recovery of a part of that investment, inflates the taxable income, and increases the taxes paid by businesses.[9] Lower capital allowances increase the cost of capital, which leads to slower investment and a reduction of the capital stock, reducing productivity, employment, and wages.[10]

Prior research has found evidence that investment is sensitive to changes in the cost of capital. Economists Kevin Hassett and R. Glenn Hubbard in a literature review found “a consensus has emerged [among economists] that investment demand is sensitive to taxation.” In other words, as a result of either longer asset lives or a higher corporate income tax rate, the demand for capital decreases and levels of investment decline, reducing the growth in the capital stock.[11] A reduction in the capital stock leads to lower wages for workers and slower economic growth.[12]

In recent years, more empirical results on such investment effects have emerged. A 2017 study by economists Eric Zwick and James Mahon shows that bonus depreciation implemented in the United States raised investment in eligible capital relative to ineligible capital by 10.4 percent between 2001 and 2004 and by 16.9 percent between 2008 and 2010. In addition, their findings showed that small firms are dramatically more sensitive to the policy change than large firms.[13]

A study conducted by economists Giorgia Maffini, Jing Xing, and Michael P. Devereux estimates the effect of accelerated depreciation allowances the UK introduced in 2004. Their results show that “the investment rate of qualifying companies increased 2.1-2.5 percentage points relative to those that did not qualify.”[14] Economists Yongzheng Liu and Jie Mao found that China’s switch from a production-based VAT to a consumption-based VAT—meaning there is now an investment tax credit—also had a positive effect on investment.[15]

Unequal Capital Allowances Create a Distortion among Different Investments in the Economy

It is also important to note that capital allowances can distort the relative costs of different investments and thus alter the mix of capital in an economy. A government could lengthen depreciation schedules for machinery, which would slow investment in machinery, harming the manufacturing industry. Likewise, if depreciation schedules are shortened, or if businesses are allowed expensing of machinery, this increase in capital allowances may spur more machinery investment relative to other investment in the country.

Looking at the average capital cost recovery rate in OECD countries by asset type, stark differences are evident. Businesses in the OECD are able to recover on average 87.2 percent of investment costs in machinery and 77.5 percent in intangibles, while only 50.7 percent for buildings.

Tax changes in the United States have given more preferential tax treatment to certain assets than others, which has led to changes in the composition of investment. In 2003, the United States passed the Jobs and Growth Tax Relief Reconciliation Act of 2003 (JGTRRA). Part of this law allowed for partial expensing of certain capital equipment, increasing capital allowances and reducing the cost of certain capital investments by as much as 15 percent.[16] Research on this change found that “investment increased the most for equipment with a longer recovery period and that ‘bonus depreciation had a powerful effect on the composition of investment.’”[17]

If a country cuts its corporate tax rate while limiting capital allowances, it can lead to a shift in the economy from more capital-intensive industries to sectors that rely on less capital investment. This is the case in the 2010s of the UK, which traded longer asset lives for a lower corporate tax rate and saw business investment suffer.[18] The differential treatment of capital-intensive industries over other sectors has likely contributed to the worsening of trends that have revealed significant differences in regional economic output in the UK.[19]

Capital Allowances in the OECD

The treatment of capital allowances varies greatly across OECD countries: The lowest-ranking country, New Zealand, allows its businesses to recover on average only 49.6 percent of capital investment costs, while the highest-ranking countries—Chile, Estonia, and Latvia—allow their businesses to recover 100 percent. This wide range is largely due to countries’ vastly different corporate tax structures, depreciation schemes, and incentives designed to prioritize certain asset types over others.

Table 1: Net Present Value of Capital Allowances in OECD Countries, 2021
Country Weighted Average Rank Weighted Average Allowance Buildings Rank Buildings Allowance Machinery Rank Machinery Allowance Intangibles Rank Intangibles Allowance
Chile (CL) 1 100.0% 1 100.0% 2 100.0% 1 100.0%
Estonia (EE) 2 100.0% 2 100.0% 3 100.0% 2 100.0%
Latvia (LV) 2 100.0% 2 100.0% 3 100.0% 2 100.0%
Lithuania (LT) 4 88.2% 4 82.7% 9 90.5% 4 96.6%
United Kingdom (GB)* 5 85.5% 26 39.1% 1 130.0% 17 82.7%
Italy (IT) 6 76.3% 7 57.7% 16 87.0% 5 96.5%
Iceland (IS) 7 74.7% 5 60.2% 21 86.0% 19 81.2%
France (FR) 8 74.2% 10 54.8% 12 88.0% 7 87.0%
Switzerland (CH) 9 74.1% 9 55.5% 21 86.0% 6 90.5%
Korea (KR) 10 74.0% 10 54.8% 8 92.2% 22 73.8%
Slovakia (SK) 11 73.9% 10 54.8% 13 87.4% 7 87.0%
Belgium (BE) 12 73.7% 10 54.8% 16 87.0% 7 87.0%
Finland (FI) 13 73.4% 17 51.9% 7 93.5% 22 73.8%
Czech Republic (CZ) 14 73.3% 16 54.3% 13 87.4% 16 84.1%
Austria (AT) 15 73.2% 8 56.7% 11 88.4% 22 73.8%
Portugal (PT) 16 72.6% 10 54.8% 10 88.8% 22 73.8%
Luxembourg (LU) 17 71.1% 18 47.9% 15 87.3% 7 87.0%
Sweden (SE) 18 70.3% 18 47.9% 21 86.0% 15 86.0%
Canada (CA) 19 68.8% 25 42.6% 3 100.0% 37 49.0%
Denmark (DK) 20 68.2% 18 47.9% 27 82.7% 18 81.3%
United States (US) 21 67.7% 32 35.0% 3 100.0% 34 63.3%
Germany (DE) 22 66.3% 26 39.1% 26 84.7% 7 87.0%
Israel (IL) 23 66.1% 26 39.1% 16 87.0% 20 78.7%
Turkey (TR) 24 66.1% 24 43.1% 20 86.4% 32 69.4%
Mexico (MX) 25 66.0% 10 54.8% 34 73.8% 22 73.8%
Slovenia (SI) 26 65.3% 26 39.1% 16 87.0% 22 73.8%
Australia (AU) 27 65.3% 18 47.9% 25 85.1% 35 54.8%
Ireland (IE) 28 63.9% 18 47.9% 31 78.7% 33 64.6%
Greece (GR) 29 63.1% 18 47.9% 34 73.8% 22 73.8%
Netherlands (NL) 30 62.6% 33 33.8% 30 81.3% 7 87.0%
Spain (ES) 31 61.3% 26 39.1% 33 77.9% 22 73.8%
Japan (JP) 32 60.9% 36 27.9% 24 85.9% 20 78.7%
Costa Rica (CR) 33 60.9% 5 60.2% 28 82.2% 38 0.0%
Norway (NO) 34 60.7% 31 37.4% 32 78.2% 22 73.8%
Poland (PL) 35 59.3% 33 33.8% 34 73.8% 7 87.0%
Hungary (HU) 36 58.3% 36 27.9% 29 81.6% 22 73.8%
Colombia (CO) 37 58.0% 35 30.6% 34 73.8% 7 87.0%
New Zealand (NZ) 38 49.6% 38 22.6% 38 73.2% 35 54.8%
OECD Average   70.71%   50.67%   87.17%   77.53%

Notes: To calculate the net present values, a fixed discount rate of 7.5 percent is assumed (fixed inflation rate of 2 percent and fixed real discount rate of 5.5 percent). Weighted averages are weighted by an estimate of each asset’s respective share of the capital stock (machinery: 44 percent, industrial buildings: 41 percent, and intangibles: 15 percent).

*The United Kingdom has a 130 percent super-deduction in place until the spring of 2023 as part of a transition from the current 19 percent corporate income tax to a proposed 25 percent corporate income tax (25 is 1.3 times 19).

Sources: Christoph Spengel, Frank Schmidt, Jost Heckemeyer, and Katharina Nicolay, “Effective Tax Levels Using the Devereux/Griffith Methodology,” European Commission, October 2021, https://ec.europa.eu/taxation_customs/system/files/2022-03/final_report_2021_effective_tax_levels_revised_en.pdf; Bloomberg Tax, “Country Guides,” https://www.bloomberglaw.com/product/tax/toc_view_menu/3380/node/3380; EY, “Worldwide Capital and Fixed Assets Guide 2021,” June 10, 2021, https://www.ey.com/en_gl/tax-guides/worldwide-capital-and-fixed-assets-guide; EY, “Worldwide Corporate Tax Guide 2021,” Aug. 17, 2021, https://www.ey.com/en_gl/tax-guides/worldwide-corporate-tax-guide; PwC, “Worldwide Tax Summaries,” https://taxsummaries.pwc.com/; and author’s calculations.

Investment in industrial buildings has relatively poor tax treatment in the OECD, with an average allowance of only 50.7 percent. Chile, Estonia, and Latvia have the best treatment of industrial buildings at 100 percent. Chile implemented temporary full expensing for all assets in 2020, and Estonia and Latvia operate cash-flow tax systems. The countries with the lowest capital cost recovery rates for industrial buildings are New Zealand (22.6 percent), Hungary (27.9 percent), and Japan (27.9 percent).

Machinery generally has the best tax treatment, with an OECD average allowance of 87.2 percent. Canada, Chile, and the United States are currently above average, at 100 percent, due to temporary full expensing of investments in machinery. The United Kingdom temporarily has 130 percent deductions for machinery. Estonia and Latvia also have full cost recovery of investments in machinery, again due to their cash-flow tax systems. The country with the worst tax treatment of investments in machinery is New Zealand, with an allowance of only 73.2 percent.

The average capital allowance for intangibles is 77.5 percent in OECD countries. Chile, Estonia, and Latvia lead, at 100 percent. Of the countries with deductions for intangible assets, Canada has the worst tax treatment of investments in intangibles, at 49 percent, followed by Australia (54.8 percent), New Zealand (54.8 percent), and the United States (63.3 percent). Costa Rica does not provide allowances for intangible assets.

The following map shows that the extent to which businesses can deduct their capital investment costs varies greatly across Europe.

Temporary Measures of Accelerated Depreciation

To spur capital investment during economic downturns, policymakers often temporarily increase the capital allowances businesses can claim. Several OECD countries have done so in response to the pandemic-induced economic crisis.

  • Australia implemented two temporary depreciation measures in the first half of 2020 that apply to all businesses with revenues below AU $500 million (US $350 million), namely an instant asset write-off (full expensing) for depreciating assets that cost less than AU $150,000 (up from AU $30,000) and an accelerated depreciation deduction for all depreciable assets that are not eligible for the instant write-off. At the end of 2020, Australia implemented temporary full expensing for most assets (excluding buildings) for businesses with revenues below AU $5 billion ($4 billion).[20]
  • Austria accelerated depreciation for buildings in the first two years and allows businesses to depreciate machinery at a higher rate using the declining-balance method. No end date for these accelerated depreciation methods has been set so far.
  • Chile now allows full expensing of fixed assets—such as buildings and machinery—and 100 percent amortization of intangibles until the end of 2022, making it the third OECD country after Estonia and Latvia that effectively provides full expensing for industrial buildings, machinery, and intangibles.
  • Denmark made a “super deduction” available on costs concerning research and development. As a result of COVID-19, the deduction rate is increased in 2021, meaning that costs connected to research and development can be deducted at a rate of 130 percent in 2021, 105 percent in 2022, 108 percent in 2023-2025, and 110 percent from 2026 onward. Furthermore, it is expected that the 130 percent rate will also come to apply for 2022 (a draft bill on this matter has been admitted for public hearing). The “super deduction” is conditioned on the costs being connected to the taxpayer’s business. The deduction can be made either at once in the income year in which the costs are incurred, or over the course of five years, including the income year in which the costs are incurred.[21]
  • Finland doubled its declining-balance depreciation rate for machinery from 25 percent to 50 percent for the years 2020 to 2023.
  • Germany accelerated depreciation schedules for machinery for the years 2020 and 2021. For 2022, this provision is expired.
  • South Korea allows an accelerated depreciation (50 percent or 75 percent of the standard useful life specified in the tax law) for investments in facilities between January 1, 2021 and December 31, 2021 if the investments are to boost “growth through innovation.” For small and medium-sized enterprises, the rule applies to general business facilities.
  • New Zealand permanently reintroduced depreciation for commercial and industrial buildings with an estimated useful life of 50 years or more and temporarily increased the threshold for low-value assets that qualify for immediate write-off.
  • Norway increased its declining-balance depreciation rate from 20 to 30 percent for machinery acquired or improved between July and December of 2020.
  • The United Kingdom permanently reintroduced depreciation for industrial buildings at 2 percent in 2019 and expanded it to 3 percent in 2020. In addition, as part of the 2021 budget, the UK significantly increased capital allowances: Between April 1, 2021 and March 31, 2023, businesses can deduct 130 percent of the investment costs in plant and equipment and 50 percent for other investments, including integral features to buildings.[22]

While the temporary nature of most of these expensing and accelerated depreciation provisions reduces their tax revenue impact in the long run, it also limits their long-run economic benefits. Temporary provisions may encourage businesses to shift future investments forward to take advantage of the larger deductions but would not raise the level of investment permanently. Thus, permanent full expensing across all asset types—rather than targeted temporary measures—would yield the highest economic benefits.[23]

Examples of Accelerated Depreciation for Green Investments

As countries have adjusted their fiscal policies to address climate concerns, some countries have begun providing special regimes for green investment. This is non-neutral tax policy and will likely result in outcomes directed by the political process rather than the economics of energy-efficient investments. However, it does show that policymakers understand the distortionary impact of long depreciation schedules. Rather than choosing narrow preferences for electric cars or certain energy-efficient or renewable technologies, full expensing for all capital investment (alongside other climate regulations) can support a transition to a cleaner economy. If the tax wedge on investment shrinks, businesses will be better able to replace old equipment and structures with newer, more energy-efficient assets.[24]

  • France: Equipment designed to save energy and equipment for the production of renewable energies can benefit from an accelerated depreciation. The applicable coefficients are 2, 2.5, and 3 (times the normal depreciation rate), depending on the standard duration of amortization of the equipment or the tools for tax purposes.
  • Germany: For electric delivery vehicles, a 50 percent deduction in the first year is provided in addition to normal straight-line depreciation. This applies to vehicles purchased after December 31, 2019 and before January 1, 2031.
  • Greece: Special depreciation rates (up to 100 percent) apply for zero- or low-emission means of transportation and related construction (such as electric vehicle charging points).
  • Hungary: Equipment for environmental protection can be depreciated at an accelerated rate of 33 percent.[27]
  • Luxembourg: Businesses making eligible investments aimed at protecting the environment and providing for the rational use of energy may elect an accelerated tax amortization of 80 percent of the depreciation base.[28]
  • Netherlands: Accelerated depreciation applies to investments in assets that are in the interest of the protection of the environment in the Netherlands and that appear on the so-called VAMIL (Vervroegde Afschrijving Milieu-investeringen) list.[29]
  • United Kingdom: Expenditure on the provision of electric car charging points will qualify for an immediate full deduction on the qualifying expenditure incurred in the year of acquisition. This relief is available for expenditure up to March 31, 2023.[30]

Capital Allowances in Selected OECD Countries

Capital cost recovery—as reflected in Table 1 above—varies significantly across OECD countries. The following examples highlight some of the differences and recent developments.

Estonia and Latvia: Cash-Flow Tax

Estonia and Latvia have both replaced their traditional corporate income tax systems with a cash-flow tax model, which allows for a capital cost recovery rate of 100 percent. Rather than requiring corporations to calculate their taxable income using complex rules and depreciation schedules on an annual basis, the Estonian and Latvian corporate income tax of 20 percent is levied only when a business distributes profits to shareholders.

This not only simplifies the calculation of taxable profit, but it also allows for treatment of capital investment that is equivalent to full expensing. Since distributed profits are the tax base, there is no need for depreciation schedules. Instead, capital costs reduce profits in the year of investment. This treatment of capital investment encourages businesses in Estonia and Latvia to use their profits to reinvest in their firms rather than distribute them to shareholders, leading to new capital formation and increased economic growth.

Canada and the United States: Temporary Expensing for Equipment and Machinery

Currently, the United States tax code allows businesses to recover 67.7 percent of capital investment costs on average. This is slightly below the OECD average of 69.9 percent.

The U.S. capital allowance for intangibles is 63.3 percent, lower than the OECD average of 79.6 percent. Cost recovery of nonresidential structures is also low in the U.S., at an allowance of only 35 percent over their rather long 39-year asset lives, while the OECD average is 50.1 percent.

For machinery, the U.S. currently has a 100 percent capital cost recovery rate due to temporary full expensing provided by the Tax Cut and Jobs Act (TCJA) of 2017. The OECD has an average of 85.2 percent for capital allowances for machinery. Notably, the OECD highlighted the U.S. provision in its 2018 Economic Survey of the United States, pointing out that the policy “will likely give a substantial boost to investment activity.”[31]

As a response to full expensing for machinery in the U.S., Canada adopted full expensing for equipment and machinery used in the manufacturing and processing of goods, and for clean energy investments.[32] These assets may be fully written off in the year the equipment or machinery is put into use, instead of being depreciated over several years.

Canada also adopted accelerated depreciation schedules for nonresidential buildings.[33] Businesses that invest in buildings used in manufacturing and processing will be able to write off 15 percent of the cost in the first year (up from 5 percent), and first-year write-offs for investments in other nonresidential buildings have been increased from 3 percent to 9 percent.

The TCJA provided full expensing only through 2021 and phases it out over the 2022 to 2026 period; Canada’s enhanced deductions will be in place until 2023, with a gradual phaseout period between 2024 and 2027. Although these reforms will temporarily boost investment activity, long-term effects would be significantly higher if the changes were made permanent parts of both tax systems.[34]

United Kingdom Super-Deduction

From April 2021 through the end of March 2023, UK businesses can deduct 130 percent of the costs of plant and equipment (labeled “machinery” in this report). This is a policy meant to assist business investment in the transition from the current 19 percent corporate tax rate to the proposed 25 percent rate which will be in place in April 2023. That’s a 130 percent increase, matching the super-deduction.

Currently, there is not a proposal to extend the super-deduction, and if the policy were to simply expire at the end of March 2023, the UK would return to having an 18 percent declining balance allowance for plant and equipment. This would be a shift from a 130 percent deduction to a 75.8 percent deduction (in net present value terms). Such a level would place the UK in 30th place in Table 1 from its current place of 5th.

The temporary policy results in a whiplash effect for capital allowances, effective tax rates, and overall business investment incentives.[35]

Capital Cost Recovery in the OECD since 2000

The simple average of OECD countries’ capital cost recovery rates decreased between 2000 and 2017, followed by a slight increase in 2018 and 2019,[36] and then a significant jump in 2020 and 2021 as a response to the COVID-19 pandemic. While OECD countries allowed their businesses to deduct on average approximately 70.4 percent of their capital investments in 2000, this number decreased to 66.8 percent in 2014 and now stands at 70.7 percent.

Weighted by GDP, the average OECD capital cost recovery rate declined slightly between 2000 and 2013, ranging from 65.2 percent in 2000 to 63.4 percent in 2013. After 2017, the trend started rising quickly. Full expensing for machinery in Canada and the United States, the UK’s reintroduction of capital allowances for buildings (and now the super-deduction), and newly introduced accelerated depreciation across asset types in several OECD countries due to the COVID-19 pandemic all contributed to  raising the weighted average in the last four years; in 2021, it stood at 68.7 percent.

As Figure 3 shows, the OECD average capital cost recovery rate weighted by each country’s GDP is consistently lower than the simple OECD average. This is because smaller economies tend to have better tax treatment of capital investment. This is also reflected in our ranking (see Table 1): Chile, Estonia, Latvia, Lithuania, and Iceland, all relatively small economies, are the countries with the best tax treatment of capital investments.

Corporate Income Tax Rates in the OECD

More attention is generally paid to the corporate income tax rate, rather than the income tax base. However, the corporate income tax base and the corporate income tax rate are both important in determining businesses’ effective tax levels. Like low capital allowances, a high corporate income tax rate reduces corporations’ after-tax profits, increases the cost of capital, and slows the growth of the capital stock. This can lead to lower productivity, lower wages, and slower economic growth.[37]

In the past 22 years, countries throughout the OECD have repeatedly reduced their statutory corporate income tax rates, pushing the average rate in OECD countries to approximately 22.9 percent in 2021.[38] The OECD average of corporate income tax rates weighted by each country’s GDP has also decreased since 2000, with a significant decline between 2017 and 2018 due to the cut in U.S. corporate income tax from about 39 percent to 26 percent.

Similar to capital allowances, the OECD average of corporate income tax rates weighted by each country’s GDP is consistently higher than the simple OECD average. This implies that some smaller countries tend to not only have higher capital allowances but also lower corporate income tax rates, making them more competitive from a tax perspective than some larger economies.

Conclusion

Although it has been important to reduce the distortionary effects of corporate income taxes by lowering statutory rates around the world, doing so without also considering capital allowances misses an important point of sound tax policy. Low capital allowances reduce incentives to invest, leading to lower wages and slower economic growth.

Besides pursuing policies of full expensing for capital investments, it is also important to make capital allowance provisions permanent. Permanency implies certainty, which is an essential factor especially for long-term investment decisions. For instance, the new temporary Canadian and U.S. expensing and accelerated depreciation provisions are likely to spur economic growth in the short term. Their long-term effects, however, would be much higher if the changes were made permanent.

Inflation also creates a challenge for business investment that is exacerbated by long depreciation schedules.

To recover from the pandemic and put the global economy on a trajectory for growth, policymakers need to aim for more generous and permanent capital allowances. This will spur real investment and can also contribute to more environmentally friendly production across the globe.

Appendix

Calculating Capital Allowances: Straight-Line Method

Appendix Table 1: Example Calculation of a Capital Allowance on a $100 Investment Using the Straight-Line Method
Year Remaining Value of Fixed Asset Nominal Write-off Net Present Value Write-off
0 $ 100.00 $ 12.50 $ 12.50
1 $ 87.50 $ 12.50 $ 11.63
2 $ 75.00 $ 12.50 $ 10.82
3 $ 62.50 $ 12.50 $ 10.06
4 $ 50.00 $ 12.50 $ 9.36
5 $ 37.50 $ 12.50 $ 8.71
6 $ 25.00 $ 12.50 $ 8.10
7 $ 12.50 $ 12.50 $ 7.53
  Total Value: $ 100.00 $ 78.71
  Total Allowance: 100% 78.71%

Note: 8-year Straight-Line Method at 12.5 percent. Real discount rate of 5.5 percent, inflation of 2 percent.

Source: Author’s calculations.

Appendix Table 1 illustrates the calculation of a capital allowance using the straight-line method. Suppose a business made a capital investment of $100 and assume a real discount rate plus inflation that equals 7.5 percent.

In this example, the government allows investment in machinery to be deducted on a straight-line method of 12.5 percent for eight years. This means the business can deduct 12.5 percent of the initial cost of an investment each year for eight years.

Every year, the business can deduct 12.5 percent ($12.50) of the initial investment from taxable income. In the first year, the nominal value equals the present value of the write-off. However, over time, the present value of each year’s write-off declines due to the time value of money.

Although the nominal value of the entire write-off is $100, the present value is only $78.71. As a result, the company can only recover 78.71 percent of the present value of the cost of the machine by the end of the period.

Calculating Capital Allowances: Declining-Balance Method

Appendix Table 2: Example Calculation of a Capital Allowance on a $100 Investment Using the Declining-Balance Method
Year Remaining Value of Fixed Asset Nominal Write-off Net Present Value Write-off
0 $100.00 $20.00  $20.00
1 $80.00 $16.00  $14.88
2 $64.00 $12.80  $11.08
3 $51.20 $10.24  $8.24
4 $40.96 $8.19  $6.13
5 $32.77 $6.55  $4.56
6 $26.21 $5.24  $3.40
7 $20.97 $20.97  $12.64
  Total Value: $100.00  $80.94
  Total Allowance: 100% 80.94%

Note: 8-year Declining-Balance Method at 20 percent plus final year. Real discount rate of 5.5 percent, inflation of 2 percent.

Source: Author’s calculations.

Appendix Table 2 illustrates the calculation of a capital allowance using the declining-balance method. Suppose a business made a capital investment of $100 and assume a real discount rate plus inflation that equals 7.5 percent.

Also suppose the government allows investment in machinery to be deducted on a declining balance method of 20 percent for eight years. This means the business can deduct 20 percent of the remaining cost of an investment each year for eight years.

In the initial year, the business can deduct 20 percent ($20) of the initial investment from taxable income. That $20 is subtracted from the initial value of the machine. The next year, the machine has a remaining value of only $80 (the initial $100 minus the 20 percent deduction in the initial year) and, once again, 20 percent, or $16, is deducted from taxable income and subtracted from the value of the machine. In the next year, another 20 percent is deducted from the remaining $64 value of the machine, or $12.80. This method continues until the final year, when the remaining $20.97 of the investment is deducted.

Over time, the net present value of each year’s write-off declines due to the time value of money (real discount rate plus inflation). Although the nominal value of the entire write-off is $100, the present value is only $80.94. As a result, the company can only recover 80.94 percent of the present value of the cost of the machine by the end of the period.

Countries with Unique Depreciation Schedules

While most OECD countries follow either the straight-line or declining-balance depreciation methods (or a combination of both) to determine annual capital allowances, there are some notable exceptions. The Czech Republic and Slovakia have unique depreciation schedules, and Mexico allows businesses to adjust their capital allowances for inflation.

Czech Republic and Slovakia: Specific Accelerated Depreciation Method

Besides the straight-line method, businesses may elect to depreciate buildings (only in the Czech Republic[39]) and machinery (in both countries) using a specific accelerated method. Under this method, depreciation for the first year is calculated by dividing the cost of the asset by the number of years reflecting the useful life of an asset. For subsequent years, accelerated depreciation is calculated by multiplying the residual tax value of the asset by two and then dividing it by the remaining years of depreciation plus one year.[40]

Despite this comparably complex calculation of depreciation values, Slovakia ranks 11th (73.9 percent) and the Czech Republic 14th (73.3 percent) in our comparison of capital cost recovery in the OECD, making them above average as places for business investment.

Mexico: Inflation-Adjustment for Capital Allowances

Businesses in Mexico are allowed to adjust their capital allowances for inflation—a unique feature among OECD countries’ depreciation methods.[41] This allows businesses to recover a larger share of their investment costs in real terms than they otherwise would, making it a partial form of neutral cost recovery. Such inflation adjustments reduce the negative impact of long depreciation schedules on investment incentives and economic growth.

[1] IMF, “IMF Investment and Capital Stock Dataset, 2021,” May 2021, https://infrastructuregovern.imf.org/content/dam/PIMA/Knowledge-Hub/dataset/IMFInvestmentandCapitalStockDataset2021.xlsx.

[2] Stephen J. Entin, “The Tax Treatment of Capital Assets and Its Effect on Growth: Expensing, Depreciation, and the Concept of Cost Recovery in the Tax System,” Tax Foundation, Apr. 24, 2013, https://www.taxfoundation.org/tax-treatment-capital-assets-and-its-effect-growth-expensing-depreciation-and-concept-cost-recovery/.

[3] Stephen J. Entin, “The Neutral Cost Recovery System: A Pro-Growth Solution for Capital Cost Recovery,” Tax Foundation, Oct. 29, 2013, https://www.taxfoundation.org/article/neutral-cost-recovery-system-pro-growth-solution-capital-cost-recovery.

[4] OECD, “Table II.1. Statutory corporate income tax rate,” updated April 2021, https://stats.oecd.org/Index.aspx?DataSetCode=TABLE_II1.

[5] OECD, “Corporate Tax Statistics, Second Edition” 2020, https://www.oecd.org/tax/tax-policy/corporate-tax-statistics-second-edition.pdf.

[6] Stephen J. Entin, “The Tax Treatment of Capital Assets and Its Effect on Growth: Expensing, Depreciation, and the Concept of Cost Recovery in the Tax System.”

[7] This can be thought of as the opportunity cost of tying up the money in a particular investment. See Stephen J. Entin, “The Neutral Cost Recovery System: A Pro-Growth Solution for Capital Cost Recovery.”

[8] Stephen J. Entin, “The Tax Treatment of Capital Assets and Its Effect on Growth: Expensing, Depreciation, and the Concept of Cost Recovery in the Tax System.”

[9] Another—although slightly more complicated—way to achieve full cost recovery is a neutral cost recovery system. Under that system, write-offs are spread over time, but the deferred amounts are increased each year at a market interest rate to preserve a net present value equal to expensing. See Stephen J. Entin, “The Neutral Cost Recovery System: A Pro-Growth Solution for Capital Cost Recovery.”

[10] Stephen J. Entin, “The Tax Treatment of Capital Assets and Its Effect on Growth: Expensing, Depreciation, and the Concept of Cost Recovery in the Tax System.”

[11] Kevin A. Hassett and R. Glenn Hubbard, “Tax Policy and Business Investment,” in the Handbook of Public Economics 3 (2002), https://www.sciencedirect.com/science/article/pii/S1573442002800246.

[12] Stephen J. Entin, “The Tax Treatment of Capital Assets and Its Effect on Growth: Expensing, Depreciation, and the Concept of Cost Recovery in the Tax System.”

[13] Eric Zwick and James Mahon, “Tax Policy and Heterogeneous Investment Behavior,” American Economic Review 107:1 (January 2017), 217–248, https://www.aeaweb.org/articles?id=10.1257/aer.20140855.

[14] Giorgia Maffini, Jing Xing, and Michael P. Devereux, “The Impact of Investment Incentives: Evidence from UK Corporation Tax Returns,” American Economic Journal: Economic Policy 11:3 (August 2019), 361-89, https://www.aeaweb.org/articles?id=10.1257/pol.20170254.

[15] Yongzheng Liu and Jie Mao, “How Do Tax Incentives Affect Investment and Productivity? Firm-Level Evidence from China,” American Economic Journal: Economic Policy 11:3 (August 2019), 261-91, https://www.aeaweb.org/articles?id=10.1257/pol.20170478.

[16] Kevin A. Hassett and Kathryn Newmark, “Taxation and Business Behavior: A Review of the Recent Literature,” in John W. Diamond and George R. Zodrow, eds., Fundamental Tax Reform: Issues, Choices, and Implications (Cambridge, MA: MIT Press, 2008), 205.

[17] Id., at 206.

[18] Kyle Pomerleau, “Trading Longer Asset Lives for Lower Corporate Tax Rates in the United Kingdom,” Tax Foundation, Jan. 29, 2014, https://www.taxfoundation.org/trading-longer-asset-lives-lower-corporate-tax-rates-united-kingdom/.

[19] Ben Gardiner, Ron Martin, Peter Sunley, and Peter Tyler, “Spatially Unbalanced Growth in the British Economy, Journal of Economic Geography 13:6 (November 2013), 889-928.

[20] The data shown in this report reflects capital allowances granted to all businesses regardless of size. Due to the revenue threshold, Australia’s accelerated depreciation and full expensing policies are not reflected in the data.

[21] EY, “Worldwide Corporate Tax Guide 2021,” Aug. 17, 2021, 470, https://www.ey.com/en_gl/tax-guides/worldwide-corporate-tax-guide.

[22] Since the latter changes took place in 2021, they are not reflected in this report. (This report captures 2020 data.)

[23] For further analysis, see Kyle Pomerleau, “Economic and Budgetary Impact of Temporary Expensing,” Tax Foundation, Oct. 4, 2017, https://www.taxfoundation.org/economic-budgetary-impact-temporary-expensing/.

[24] Alex Muresianu, “How Expensing for Capital Investment can Accelerate the Transition to a Cleaner Economy,” Tax Foundation, Jan. 12, 2021, https://www.taxfoundation.org/energy-efficiency-climate-change-tax-policy/.

[25] EY, “Worldwide Capital and Fixed Assets Guide 2021,” June 2021, https://www.ey.com/en_gl/tax-guides/worldwide-capital-and-fixed-assets-guide 80.

[26] EY Worldwide Capital and Fixed Assets Guide 2021,” 92.

[27] EY, “Worldwide Capital and Fixed Tax Guide 2021,” 720.

[28] EY, “Worldwide Corporate Tax Guide 2021,”1039.

[29] EY, “Worldwide Capital and Fixed Assets Guide 2021,” 158.

[30] Id., 248, 252.

[31] OECD, “OECD Economic Surveys United States,” June 2018, https://read.oecd-ilibrary.org/economics/oecd-economic-surveys-united-states-2018_eco_surveys-usa-2018-en#page12.

[32] Department of Finance Canada, “Investing in Middle Class Jobs,” Fall Economic Statement 2018, https://budget.gc.ca/fes-eea/2018/docs/statement-enonce/fes-eea-2018-eng.pdf.

[33] Id.

[34] Kyle Pomerleau, “Economic and Budgetary Impact of Temporary Expensing;” and William Gbohoui, “Do Temporary Business Tax Cuts Matter? A General Equilibrium Analysis,” IMF, Feb. 15, 2019, https://www.imf.org/en/Publications/WP/Issues/2019/02/15/Do-Temporary-Business-Tax-Cuts-Matter-A-General-Equilibrium-Analysis-46524.

[35] Daniel Bunn and Kyle Pomerleau, “Marginal Effective Tax Rates and the 2021 UK Budget,” Tax Foundation, Mar. 23, 2021, https://www.taxfoundation.org/2021-uk-budget-tax-proposals/.

[36] The increases in 2018 and 2019 are mainly due to the introduction of temporary full expensing for machinery in Canada and the United States, as well as the reintroduction of capital allowances for industrial buildings in the United Kingdom.

[37] William McBride, “What is the Evidence on Taxes and Growth?” Tax Foundation, Dec. 18, 2012, https://www.taxfoundation.org/article/what-evidence-taxes-and-growth.

[38] OECD, “Table II.1. Statutory corporate income tax rate.”

[39] In 2015, Slovakia switched for buildings from its unique accelerated depreciation method to the straight-line method. It kept its accelerated method for machinery.

[40] Example: In the first year in the case of an asset with a useful life of six years, depreciation is 16.7% (100/6). The following years, the residual value is multiplied by two and divided by the remaining years of depreciation plus one year; i.e., for the second year: (100-16.7%) x 2 / (6-1+1) = 27.77%.

[41] EY, “Worldwide Capital and Fixed Assets Guide.”