The result of Millers work is the conclusion that the US Tax Code produces two competing pressures that affect a businesss use of leverage. These two conflicting effects are
| the deductibility of (intrest, dividends) which creates a tax shieldfavors the use of (equity, debt) financing in a firms capital structure; |
| the preferential tax treatment of (equity, debt) income (dividends and capital gains) favors the use of (equity, debt) financing. |
Debt financing has one important advantage that the early Modigliani and Miller (MM) propositions ignored: the interest on business debt is tax deductible. This benefit means that the amount of taxes that a business is required to pay will be reduced by a phenomenon called an interest tax shield, which is a function of the amount of debt in the firm's capital structure and its tax rate. In contrast, the dividends that a corporation pays on its common and preferred shares are not tax deductible. Consider the case of Green Llama Foodstuffs, Inc.: At the beginning of the year, Green Llama Foodstuffs, Inc. had an unlevered value of $8,500,000. It pays federal and state taxes at the marginal rate of 40%, and currently has $2,500,000 in debt capital in its capital structure. According to MM Proposition I with taxes, Green Llama Foodstuffs is allowed to recognize a tax shield of , and the levered value of the firm is $6,000,000.$9,500,000.$7,500,000.$11,000,000. In 1977, Merton Miller added to the discussion regarding the effect of taxes on a firm's value by including the effect of personal income taxes. He was interested in how the presence of individual income taxes would affect business's use of debt financing, and developed the following model for the value of a levered firm: VL=Vu+D[1(1Td)(1Tc)(1Ts)] where Tc,Ts, and Td represent the tax rates imposed on corporate income, personal income from equity investments, and personal income from debt investments, respectively. A basic premise of Miller's work, under the current US Tax Code, is that investors are willing to accept a pre-tax return on equity investments than on bond investments because tax rates imposed on equity investments are lower than those imposed on bond investments. bond investments are lower than those imposed on equity investments. The result of Miller's work is the conclusion that the US Tax Code produces two competing pressures that affect a business's use of leverage. These two conflicting effects are - the deductibility of - the preferential tax treatment of - which creates a tax shield-favors the use of income (dividends and capital gains) favors the use of financing in a firm's capital structure; financing. Debt financing has one important advantage that the early Modigliani and Miller (MM) propositions ignored: the interest on business debt is tax deductible. This benefit means that the amount of taxes that a business is required to pay will be reduced by a phenomenon called an interest tax shield, which is a function of the amount of debt in the firm's capital structure and its tax rate. In contrast, the dividends that a corporation pays on its common and preferred shares are not tax deductible. Consider the case of Green Llama Foodstuffs, Inc.: At the beginning of the year, Green Llama Foodstuffs, Inc. had an unlevered value of $8,500,000. It pays federal and state taxes at the marginal rate of 40%, and currently has $2,500,000 in debt capital in its capital structure. According to MM Proposition I with taxes, Green Llama Foodstuffs is allowed to recognize a tax shield of , and the levered value of the firm is $6,000,000.$9,500,000.$7,500,000.$11,000,000. In 1977, Merton Miller added to the discussion regarding the effect of taxes on a firm's value by including the effect of personal income taxes. He was interested in how the presence of individual income taxes would affect business's use of debt financing, and developed the following model for the value of a levered firm: VL=Vu+D[1(1Td)(1Tc)(1Ts)], where Tc,Ts, and Td represent the tax rates imposed on corporate income, personal income from equity investments, and personal income from debt investments, respectively. A basic premise of Miller's work, under the current US Tax Code, is that investors are willing to accept a pre-tax return on equity investments than on bond investments because tax rates imposed on equity investments are lower than those imposed on bond investments. bond investments are lower than those imposed on equity investments. The result of Miller's work is the conclusion that the US Tax Code produces two competing pressures that affect a business's use of leverage. These two conflicting effects are - the deductibility of - the preferential tax treatment of - which creates a tax shield-favors the use of income (dividends and capital gains) favors the use of financing in a firm's capital structure; financing