Corporate Income Tax - Combined Reporting
The enactment of HB46 will affect the structure of corporate taxation in Maryland, as it mandates that corporations engaged in unitary business must calculate their tax obligations collectively. This approach is expected to reduce instances of tax avoidance by ensuring that income is reported on a consolidated basis, thereby increasing overall tax revenues for the state. Starting July 1, 2024, the law will apply to all taxable years beginning after December 31, 2024, thus allowing businesses time to prepare for these new requirements.
House Bill 46 focuses on reforming how corporate income tax is calculated for certain groups of corporations in Maryland by instituting a combined reporting method. This method requires corporations that are part of a unitary business to file a combined tax return reflecting the aggregate income tax liability of all members of the group, thereby simplifying the tax reporting process and ensuring a more equitable taxation of business activities within the state. The bill aims to align Maryland's tax reporting requirements with practices recommended by the Multistate Tax Commission.
While supporters argue that combined reporting can minimize tax avoidance strategies and increase fairness in taxation, there may be concerns among businesses regarding the potential for increased tax liability as their income is aggregated with other members of a combined group. Some entities fear that this could disproportionately impact larger businesses that engage in multiple lines of operations across various jurisdictions. Furthermore, the bill contains provisions allowing the Comptroller to revise the reported income for tax purposes, which could raise concerns about the additional regulatory oversight and compliance burden on businesses.