Tax Policy and Heterogeneous Investment Behavior: American Economic Review 2017, 107 (1) : 217-248
Tax Policy and Heterogeneous Investment Behavior: American Economic Review 2017, 107 (1) : 217-248
Tax Policy and Heterogeneous Investment Behavior: American Economic Review 2017, 107 (1) : 217-248
https://doi.org/10.1257/aer.20140855
Economists have long asked how taxes affect investment (Hall and Jorgenson
1967). The answer is central to the design of countercyclical fiscal policy, since pol-
icymakers often use tax-based investment incentives to spur growth in times of eco-
nomic weakness. Improving policy design requires knowing which firms are most
responsive to taxes and why they respond. However, because comprehensive micro
data have been previously unavailable, past work has not fully explored the role of
heterogeneity in how tax policy affects investment or whether such heterogeneity is
macroeconomically relevant.1
* Zwick: University of Chicago Booth School of Business, 5807 S. Woodlawn Avenue, Chicago, IL, 60637,
and NBER (e-mail: ezwick@chicagobooth.edu); Mahon: Deloitte LLP (e-mail: james.mahon.3@gmail.com).
This paper previously circulated with the title, “Do Financial Frictions Amplify Fiscal Policy? Evidence from
Business Investment Stimulus.” Zwick thanks Raj Chetty, David Laibson, Josh Lerner, David Scharfstein, and
Andrei Shleifer for extensive advice and support. We thank Jediphi Cabal, Gary Chamberlain, George Contos, Ian
Dew-Becker, Fritz Foley, Paul Goldsmith-Pinkham, Robin Greenwood, Sam Hanson, Ron Hodge, John Kitchen,
Pat Langetieg, Day Manoli, Isaac Sorkin, Larry Summers, Adi Sunderam, Nick Turner, Tom Winberry, Danny
Yagan, Moto Yogo, Owen Zidar, and seminar and conference participants for comments, ideas, and help with data.
Tom Cui and Prab Upadrashta provided excellent research assistance. We are grateful to our colleagues in the
US Treasury Office of Tax Analysis and the IRS Office of Research, Analysis, and Statistics—especially Curtis
Carlson, John Guyton, Barry Johnson, Jay Mackie, Rosemary Marcuss, and Mark Mazur—for making this work
possible. The views expressed here are ours and do not necessarily reflect those of the US Treasury Office of Tax
Analysis, nor the IRS Office of Research, Analysis, and Statistics. Zwick gratefully acknowledges financial support
from the Harvard Business School Doctoral Office, the Neubauer Family Foundation, and Booth School of Business
at the University of Chicago. The authors declare that they have no relevant or material financial interests that relate
to the research described in this paper.
†
Go to https://doi.org/10.1257/aer.20140855 to visit the article page for additional materials and author
disclosure statement(s).
1
Key theoretical studies include Hall and Jorgenson (1967); Tobin (1969); Hayashi (1982); Abel and Eberly
(1994); and Caballero and Engel (1999). Abel (1990) presents a unifying synthesis of the early theoretical lit-
erature. Key empirical work includes Summers (1981); Auerbach and Hassett (1992); Cummins, Hassett, and
Hubbard (1994); Goolsbee (1998); Chirinko, Fazzari, and Meyer (1999); Desai and Goolsbee (2004); Cooper and
Haltiwanger (2006); House and Shapiro (2008); and Yagan (2015). Edgerton (2010) explores heterogeneity within
a sample of public companies but finds mixed results.
217
218 THE AMERICAN ECONOMIC REVIEW January 2017
2
Summers (1987, p. 29.5) states this most clearly: “It is only because of discounting that depreciation schedules
affect investment decisions”
3
Cummins, Hassett, and Hubbard (1994) study many corporate tax reforms with public company data and
conclude that tax policy has a strong effect on investment. Using similar data and a different empirical methodol-
ogy, Chirinko, Fazzari, and Meyer (1999) argue that tax policy has a small effect on investment and that Cummins,
Hassett, and Hubbard (1994) misinterpret their results. Hassett and Hubbard (2002) survey empirical work and
conclude that the range of estimates for the user cost elasticity has narrowed to between −0.5 and −1. Surveying
this and more recent work, Bond and Van Reenen (2007, p. 4473) decide “it is perhaps a little too early to agree with
Hassett and Hubbard (2002) that there is a new ‘consensus’ on the size and robustness of this effect.”
4
The research design relies on c ross-sectional program exposure. Thus, the estimates do not reveal the overall
general equilibrium effects of the program, which are subsumed into time fixed effects and would include, for
example, price changes and their effect on the aggregate level of investment.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 219
In the second part of the paper, we present a set of heterogeneity tests designed
to shed light on the mechanisms underlying the large baseline response. Our second
empirical finding is that small firms are substantially more responsive to investment
stimulus. We work with an analysis sample of more than 120,000 public and private
companies drawn from two million corporate tax returns. Half the firms in our sam-
ple are smaller than the smallest firms in Compustat.5 The largest firms in our sam-
ple, those most like the public company samples from prior work, yield estimates in
line with past studies of other tax reforms. In contrast, small and medium-sized firms
show much stronger responses. Though aggregate investment is concentrated at the
top of the firm size distribution—the top 5 percent of firms in our sample account for
more than 60 percent of investment—accounting for the bottom 95 percent of firms
materially affects our investment-weighted estimate. The investment-weighted elas-
ticity is 2.89, which is 27 percent higher than the 2.27 estimated using only the
largest firms.
The asymmetry of the corporate tax code introduces another source of heteroge-
neity: firms with tax losses must wait to realize the benefits of tax breaks. Because
many firms in our sample are in a tax loss position when a policy shock occurs, we
can ask how much firms value future tax benefits, namely, the larger deductions
bonus depreciation provides them in later years. Our third empirical finding is that
firms only respond to investment incentives when the policy immediately generates
cash flows. This finding holds even though firms can carry forward unused deduc-
tions to offset future taxes, and it cannot be explained by differences in growth
opportunities.
To confirm the importance of immediacy, we study a second component of the
depreciation schedule. Firms making small investment outlays face a permanent
kink in the tax schedule, which creates a discontinuous change in marginal invest-
ment incentives. This sharp change in incentives induces substantial investment
bunching, with many firms electing amounts within just a few hundred dollars of the
kink. And when legislation raises the kink, the bunching pattern follows. Immediacy
proves crucial in this setting, as bunching strongly depends on a firm’s current tax
status: firms just in positive tax position are far more likely to bunch than firms on
the other side of the discontinuity. For a different group of firms and a different
depreciation policy, we again find that firms ignore future tax benefits.
Our findings have implications for which models of corporate behavior are most
likely to fit the data. In the presence of financial frictions (Jensen and Meckling
1976; Myers and Majluf 1984; Stein 2003), firms value future cash flows with
high effective discount rates, which amplify the perceived value of bonus incen-
tives because the difference in today’s tax benefits dwarfs the present value com-
parison that matters in frictionless models. Building on the differential response by
firm size, we perform a split sample analysis using alternative markers of ex ante
financial constraints. In addition to small firms, non-dividend payers and firms with
low cash holdings are 1.5 to 2.6 times more responsive than their unconstrained
5
When aggregated, these small firms account for a large amount of economic activity. According to census tab-
ulations in 2007, firms with less than $100 million in receipts (around the eightieth percentile in our data) account
for more than half of total employment and one-third of total receipts (https://www.census.gov/epcd/susb/2007/us/
US--.HTM).
220 THE AMERICAN ECONOMIC REVIEW January 2017
c ounterparts. Moreover, we find that firms respond by borrowing and cutting div-
idends. That firms only respond to immediate tax benefits also suggests models in
which liquidity considerations matter.
Though these facts suggest a role for financial frictions, markers of financial con-
straints and tax position may also measure the likelihood of adjustment in models with
non-convex adjustment costs (Caballero and Engel 1999; Cooper and Haltiwanger
2006). In these models, when the policy induces a firm across its adjustment thresh-
old, investment increases sharply because the firm does not plan to adjust every year.
Thus, models in which fixed costs lead firms to differ in their relative distance from an
adjustment threshold may also explain the patterns we observe. Consistent with this
idea, firms very likely or very unlikely to invest in the absence of the policy indeed
exhibit lower elasticities. Taken together, the data point toward models in which finan-
cial frictions, fixed costs, or a mix of these factors amplifies investment responses.
Our paper follows a long literature that exploits cross-sectional variation to
study the effect of tax policy on investment (Cummins, Hassett, and Hubbard 1994;
Goolsbee 1998; House and Shapiro 2008). We depart by using a broader sample
of firms than public company samples and by using detailed micro data to pres-
ent new heterogeneity analyses, which shed light on the underlying mechanisms.
Allowing for heterogeneous responses also proves necessary to estimate an accurate
investment-weighted elasticity. In addition, the results suggest that countercyclical
policy aimed at high elasticity subpopulations can produce larger effects, in a simi-
lar spirit to studies documenting heterogeneous responses of consumption to policy
changes (Shapiro and Slemrod 1995; Johnson, Parker, and Souleles 2006; Aaronson,
Agarwal, and French 2012). Our findings also highlight the potential importance of
distinguishing tax policies that target investment directly and immediately—such as
depreciation changes—from policies that more broadly affect the cost of capital and
pay off gradually over time—such as corporate or dividend tax changes (Feldstein
1982; Auerbach and Hassett 1992; Yagan 2015).
Section I introduces the bonus depreciation policy and our conceptual approach.
Section II describes the corporate tax data, variable construction, and sample selec-
tion process. Section III describes the main empirical strategy for studying bonus
depreciation, the identification assumptions, and presents results and robustness
tests. Section IV explores the role of heterogeneity in driving our results and pres-
ents investment-weighted estimates that account for this heterogeneity. Section V
connects our findings to past work and discusses alternative theoretical interpreta-
tions. Section VI concludes.
A. Conceptual Approach
Consider a firm buying $1 million worth of computers. The firm owes corporate
taxes on income net of business expenses. For expenses on nondurable items such
as wages and advertising, the firm can immediately deduct the full cost of these
items on its tax return. Thus an extra dollar of spending on wages reduces the firm’s
taxable income by a dollar and reduces the firm’s tax bill by the tax rate. But for
investment expenses the rules differ.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 221
Year: 0 1 2 3 4 5 Total
Normal depreciation
Deductions (000s) 200 320 192 115 115 58 1,000
Tax benefit (τ = 35 percent) 70 112 67.2 40.3 40.3 20.2 350
Notes: This table displays year-by-year deductions and tax benefits for a $1 million investment in computers, a five-
year item, depreciable according to the Modified Accelerated Cost Recovery System (MACRS). The top schedule
applies during normal times. It reflects a half-year convention for the purchase year and a 200 percent declining
balance method (2× straight line until straight line is greater). The bottom schedule applies when 50 percent bonus
depreciation is available.
Source: Authors’ calculations. See IRS publication 946 for the recovery periods and schedules applying to other
class lives (https://www.irs.gov/uac/about-publication-946).
Usually, the firm follows the regular depreciation schedule in the top panel of
Table 1. The first year deduction is $200,000, which provides an a fter-tax benefit
of $70,000. Over the next five years, the firm deducts the remaining $800,000. The
total undiscounted deduction is the $1 million spent and the total undiscounted tax
benefit is $350,000.
The value of these deductions thus depends on the tax rate and how the schedule
interacts with the firm’s discount rate. We collapse the stream of future depreciation
deductions owed for investment:
T
z = D0 + ∑
(1) _____ 1
0
t Dt ,
t=1 (
1 + r)
where Dtis the allowable deduction per dollar of investment in period t , Tis the
class life of investment, and ris the risk-adjusted rate the firm uses to discount
future flows. z 0measures the present discounted value of one dollar of investment
deductions before tax. If the firm can immediately deduct the full dollar, then z 0
equals one. Because of discounting, z 0is lower for longer-lived items (i.e., items
with greater T ), which forms the core of our identification strategy.
In general, the stream of future deductions depends on future discount rates
and tax rates. For discount rates, we apply a risk-adjusted rate of 7 percent for
rto compute z 0in the data, which enables comparison to past work. Our empirical
analysis assumes the effective tax rate does not change over time, except when the
firm is nontaxable.6 When the next dollar of investment does not affect this year’s
tax bill, then the firm must carry forward the deductions to future years.7
6
We use the top statutory tax rate in the set of specifications requiring a tax rate. This is an upper bound on
the more realistic effective marginal tax rate, which in turn depends on tax rate progressivity and the level of other
expenses relative to taxable income. See, e.g., Graham (1996, 2000) for a method tracing out the marginal tax
benefit curve. The policies we study will increase the use of investment as a tax shield regardless of where the firm
is on this marginal benefit curve. Except when current and all future taxes are zero, bonus increases the marginal
tax benefit of investment.
7
This assumes that “carrybacks”—in which firms apply unused deductions this year against past tax bills—have
been exhausted or ignored.
222 THE AMERICAN ECONOMIC REVIEW January 2017
Bonus depreciation allows the firm to deduct a per dollar bonus, θ , at the time
of the investment and then depreciate the remaining 1 − θaccording to the normal
schedule:
z = θ + (1 − θ) z 0.
(2)
Returning to the example in Table 1, assume 50 percent bonus. The firm can now
deduct a $500,000 bonus before following the normal schedule for the remaining
amount, so the total first year deduction rises to $600,000. Each subsequent deduc-
tion falls by half.
The total amount deducted over time does not change. However, the accelerated
schedule does raise the present value of these deductions. Applying a 7 percent dis-
count rate yields $311,000 for the present value of cash back in normal times. Bonus
raises this present value by $20,000, just 2 percent of the original purchase price.
This small present value payoff is why some authors conclude that bonus provides
little stimulus for s hort-lived items (Desai and Goolsbee 2004).8
The more delayed the normal depreciation schedule is, the more generous bonus
will be. L onger-lived items like telephone lines and heavy manufacturing equip-
ment have a more delayed baseline schedule than short-lived items like comput-
<
ers (i.e., z L0ong z S0hort
). Thus, industries that buy more long-lived equipment see a
larger relative price cut when bonus happens. At different points in time, Congress
has set θequal to 0, 0.3, 0.5, or 1. We use these policy shocks to identify the effect
of bonus depreciation on investment. Industries differ by average z 0prior to bonus,
providing the basis for a difference-in-differences setup with continuous treatment.
In a frictionless model, a firm will judge the benefits of bonus by comparing these
present value payoffs. Note, however, the large difference in the initial deduction,
which translates into $140,000 of savings in the investment year. Such a difference
will matter if firms must borrow to meet current expenses and external finance is
costly (Stein 2003). Or it will matter if managers place excess weight on taxes saved
today, so that they will aggressively use bonus to reduce taxes, but only when the
benefits are immediate. In short, when firms use higher effective discount rates to
evaluate bonus, they will respond more than the frictionless model predicts.
Even without financial frictions, bonus can induce a large investment response
for the longest-lived items through intertemporal substitution when firms expect
the policy to be temporary (House and Shapiro 2008). Alternatively, if investment
entails fixed costs, firms induced by bonus across an adjustment threshold will show
a large response even in the absence of financial frictions (Winberry 2015). Our
empirical approach does not rely on a particular mechanism driving the response,
just that the incentives created by bonus operate through discounting. We present a
set of baseline estimates that can be interpreted without appealing to a specific the-
ory, and then follow with a series of heterogeneity analyses designed to shed light
on the underlying mechanisms.
See also Steuerle (2008), Knittel (2007), and House and Shapiro (2008).
8
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 223
B. Policy Background
House and Shapiro (2008) provide a detailed discussion of the baseline depre-
ciation schedule and legislative history of the first round of bonus depreciation.9
Kitchen and Knittel (2011) provide a brief legislative history of the second round.
Online Appendix A summarizes the relevant legislation for our sample frame.
In 2001, firms buying qualified investments were allowed to immediately write
off 30 percent of the cost of these investments. The bonus increased to 50 per-
cent in 2003 and expired at the end of 2004. In 2008, 50 percent bonus deprecia-
tion was reinstated. It was later extended to 100 percent bonus for tax years ending
between September 2010 and December 2011. The policies applied to equipment
and excluded most structures.
The policies were intended as economic stimulus. In the words of Congress,
“increasing and extending the additional fi rst-year depreciation will accelerate pur-
chases of equipment, promote capital investment, modernization, and growth, and
will help to spur an economic recovery” (Committee on Ways and Means 2003,
p. 23). That the policies were not implemented at random, but rather coincided with
times of economic weakness, is why we exploit c ross-sectional variation in policy
exposure to separate the effects of bonus from other macroeconomic factors.
To avoid encouraging firms to delay investment until the policy came online,
legislators announced that bonus would apply retroactively to include the time when
the policy was under debate. Although the first bonus legislation passed in early
2002, firms anticipating policy passage would have begun responding in the fourth
quarter of 2001. We therefore include fi rm-years with the tax year ending within the
legislated window in our treatment window.
Whether firms perceived the policy as temporary or permanent is a subject of
debate. The initial bill branded the policy as temporary stimulus, slating it to expire
at the end of 2004, which it did. For this reason, House and Shapiro (2008) assume
firms treat the policy as temporary. In contrast, Desai and Goolsbee (2004) cite
survey evidence indicating that many firms expected the provisions to continue.
Expecting the policy to be temporary is important for House and Shapiro (2008),
because their exercise relies upon how policies approximated as instantaneous inter-
act with the duration of investment goods approximated as infinitely lived. In his
comment on Desai and Goolsbee (2004), Hassett also argues that the temporary
nature of these policies increases the stimulus through intertemporal shifting.
While an assumption about expectations may be important for interpreting the
data, measuring the baseline policy response does not require such an assump-
tion. Nor is a particular assumption necessary to justify a large policy response; as
noted above, financial frictions and n on-convex adjustment costs can amplify the
effects of both temporary and permanent policies. And because we allow firms in
high-exposure industries to respond with an arbitrary mix of short- and long-lived
purchases, our empirical design relies less than House and Shapiro’s (2008) design
on the response of the longest-lived investment goods.
The analysis in this paper uses the most complete dataset yet applied to study
business investment incentives.10 The data include detailed information on equip-
ment and structures investment, offering a finer breakdown than previously avail-
able for a broad class of industries. The sample includes many small, private firms
and all of the largest US firms, which enables a rich heterogeneity analysis. Because
the data come from corporate tax returns, we can precisely separate firms based
on whether the next dollar of investment affects this year’s taxes. We describe the
source of these data, the analysis sample, and how we map tax items into empirical
objects.
A. Sampling Process
Each year, the Statistics of Income (SOI) division of the IRS Research, Analysis,
and Statistics unit produces a stratified sample of approximately 100,000 unaudited
corporate tax returns. Stratification occurs by total assets, proceeds, and form type.11
SOI uses these samples to generate annual publications documenting income char-
acteristics. The BEA uses them to finalize national income statistics. In addition, the
Treasury’s Office of Tax Analysis (OTA) uses the sample to perform policy analysis
and revenue estimation.
In 2008, the sample represented about 1.8 percent of the total population of
6.4 million C and S corporation returns. Any corporation selected into the sample
in a given year will be selected again the next year, providing it continues to fall
in a stratum with the same or higher sampling rate. Shrinking firms are resampled
at a lower rate, which introduces sampling attrition. We address this attrition in
several ways, including a nonparametric reweighting procedure for figures and
through assessing the robustness of our results in a balanced panel. Each sample
year includes returns with accounting periods ending between July of that year and
the following June. When necessary, we recode the tax year to align with the imple-
mentation of the policies studied in this paper.
We create a panel by linking the cross-sectional SOI study files using firm identi-
fiers. The raw dataset has 1.84 million firm-years covering the period from 1993 to
2010. There are 355,000 distinct firms in this dataset, 19,711 firms with returns in
each year of the sample, and 62,478 firms with at least 10 years of returns. Beginning
with the sample of firms with valid data for each of the main data items analyzed, we
rm-years satisfying the following criteria: (i) having nonzero total deductions
keep fi
10
Yagan (2015) uses these data to study the 2003 dividend tax cut. Kitchen and Knittel (2011) use these data to
describe general patterns in bonus and Section 179 take-up.
11
For example, C corporations file form 1120 and S corporations file form 1120S. Other form types include
real estate investment trusts, regulated investment companies, foreign corporations, life insurance companies, and
property and casualty insurance companies. We focus on 1120 and 1120S, which cover the bulk of business activity
in industries making equipment investments. More detail on the sample is available at http://www.irs.gov/pub/irs-
soi/08cosec3ccr.pdf.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 225
or nonzero total income and (ii) having an attached investment form.12 In addition,
we exclude partial-year returns, which occur when a firm closes or changes its fis-
cal year. To analyze bonus depreciation, we exclude firms potentially affected by
Section 179, a small firm investment incentive which we analyze separately. Our
main bonus analysis sample consists of all firms with average eligible investment
greater than $100,000 during years of positive investment.13 This sample consists of
820,769 observations for 128,151 distinct firms.
Our main variable of interest, eligible investment, includes expenditures for all
equipment investment put in place during the current year for which bonus and
Section 179 incentives apply.14 We conduct separate analyses for intensive and
extensive margin responses. The intensive margin variable is the logarithm of eli-
gible investment. The extensive margin variable is an indicator for positive eligible
investment. We aggregate this indicator at the industry level and transform it into a
log odds ratio (i.e., we use log (___ 1 − p )) for our empirical analyses. In some speci-
p
12
Knittel et al. (2011) use a similar “de minimus” test based on income and deductions to select business enti-
ties that engage in “substantial” business activity. Form 4562 is the tax form that corporations attach to their return
to claim depreciation deductions on new and past investments. An entity that claims no depreciation deductions
need not attach form 4562. It is likely that these firms do not engage in investment activity, and so their exclusion
should not affect the interpretation of results.
13
The relevant threshold for Section 179 was $25,000 until 2003, when it increased to $100,000. In 2008, it
increased to $250,000 and then to $500,000 in 2010. Using alternative thresholds in the range from $50,000 to
$500,000 does not alter the results.
14
Section 179 also applies to used equipment purchases, while bonus only applies to new equipment. The form
does not require firms to list used purchases separately.
15
We apply the s ix-month convention for the purchase year. We use a 7 percent rate as a benchmark that is likely
larger than the rate firms should be using, which will tend to bias our results downward. Summers (1987) argues that
firms should apply a discount rate close to the risk-free rate for depreciation deductions.
226 THE AMERICAN ECONOMIC REVIEW January 2017
Characteristics
Assets (000s) 403,597.2 3,267.96 24,274.82 327,301.6 818,576
Sales (000s) 180,423.8 834.65 25,920.92 234,076.1 818,576
Capital stock (000s) 89,977.09 932.00 7,214.53 80,122.69 818,576
Net income before depreciation (000s) 15,392.59 −2,397.92 1,474.65 17,174.55 818,576
Profit margin 0.17 −0.07 0.05 0.68 777,968
Wage compensation (000s) 26,826.36 372.09 4,199.88 38,526.46 818,576
Cash flow/lagged capital stock 0.05 −0.09 0.03 0.26 647,617
Notes: This table presents summary statistics for analysis of bonus depreciation. To preserve taxpayer anonymity,
“percentiles” are presented as means of all observations in the (P − 1, P + 1)th percentiles. Investment is bonus
eligible equipment investment. zN, tis the weighted present value for a dollar of eligible investment expense at the
four-digit NAICS level, with weights computed using shares of investment in each eligible category. Statistics are
rm-by-year and industry-by-year level. zN is the weighted present value for a dollar of eligi-
presented at both the fi
ble investment in n on-bonus periods for the cross section of industries in the sample. The odds ratio is defined at
the f our-digit NAICS level as the fraction of firms with positive investment divided by the fraction with zero invest-
ment. Cash flow is net income before depreciation after taxes paid. Ratios are censored at the 1 percent level. Online
Appendix Table B.1 presents more detailed investment statistics, allowing comparison of our sample to past work.
Source: Authors’ calculations
Table 2 collects summary statistics for the sample in our bonus depreciation anal-
ysis. The average observation has $6.8 million in eligible investment, $180 million
in sales, and $27 million in payroll. The size distribution of corporations is skewed,
with median eligible investment of just $370,000 and median sales of $26 million.
The average net present value of depreciation allowances, zN , t , is 0.88 in non-bonus
years, implying that eligible investment deductions for a dollar of investment are
worth 88 cents to the average firm. z N , tincreases to an average of 0.94during bonus
years. Cross-sectional differences in zN, tare similar in magnitude to the change
induced by bonus, with zN , tvarying from 0 .87at the tenth percentile to 0 .94at
the ninetieth. The first year deduction, θN, t , increases from an average of 0.18in
non-bonus years to 0.58in bonus years.
It is helpful to give a sense of the groups being compared, because our identifi-
cation will be based on assuming that industry-by-year shocks are not confounding
the trends between industry groups. The five most common three-digit industries
(NAICS code) in the bottom three zNdeciles are: motor vehicle and parts dealers
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 227
(441), food manufacturing (311), real estate (531), telecommunications (517), and
fabricated metal product manufacturing (332). In the top three deciles are: profes-
sional, scientific, and technical services (541), specialty trade contractors (238),
computer and electronic product manufacturing (334), durable goods wholesalers
(423), and construction of buildings (236). Neither group of industries appears to be
skewed toward a spurious relative boom in the low z group. The telecommunications
industry suffered unusually during the early bonus period, as did real estate in the
later period. Both industries are in the group for which we observe a larger invest-
ment response due to bonus.
A. Empirical Setup
where zN, tis measured at the four-digit NAICS industry level and increases tem-
porarily during bonus years. The investment data summarized in Table 2 is highly
skewed with a mean of $6.8 million and a median of just $370,000. Thus, a multi-
plicative unobserved effect (that is, I i = Ai I ∗ (z)) is the most likely empirical model
for investment levels. This delivers an additive model in logarithms, which is the
approach we pursue below. Because approximately 8 percent of our observations
for eligible investment are equal to zero, we supplement the intensive margin logs
approach with a log odds model for the extensive margin. We measure the log odds
ratio as log (P [ I > 0 ] / (1 − P [ I > 0 ] ))at the four-digit industry level.17
Studies often use an alternative empirical specification for f (I, K ) , where invest-
ment is scaled by lagged assets or lagged capital stock. We prefer log investment
for four reasons. First, small firms are not always required to disclose balance sheet
information, so requiring reported assets would reduce our sample frame. Second,
16
This methodological approach was first applied in Cummins, Hassett, and Hubbard (1994). See also Cummins,
Hassett, and Hubbard (1996); Desai and Goolsbee (2004); House and Shapiro (2008); and Edgerton (2010).
17
[ I > 0] , works as well. However, the logs odds
An alternative specification, with the odds ratio replaced by P
ratio has better statistical properties (e.g., a more symmetric distribution).
228 THE AMERICAN ECONOMIC REVIEW January 2017
and related to the first reason, requiring two consecutive years of data for a firm-year
reduces our sample by 15 percent. Third, there is some concern that balance sheet
data on tax accounts are not reported correctly for consolidated companies due to
failure to net out subsidiary elements.18 Measurement error in the scaling variable
introduces n onadditive measurement error into the dependent variable. Last, with
multiple types of capital, the scaling variable might not remove the unobserved firm
effect from the model. This is especially a concern because we cannot measure a
firm’s stock of eligible capital and because firms vary in the share of total invest-
ments made in eligible categories.19 While we prefer the log investment model, we
also report results using investment scaled by lagged capital stock, which allows
comparison to past studies.
B. Graphical Evidence
Table 3 presents regressions of the form in (3), where f (Iit, Ki, t−1 ) equals log (Iit)
in the intensive margin model, log ( PN [ Iit > 0 ] / (1 − PN [ Iit > 0 ] ))in the exten-
sive margin model, and Iit/Ki, t−1in the tax term model; and g(zN, t )equals z N, t in
the intensive and extensive margin models and ( 1 − τ zN, t) / (1 − τ)in the tax term
Mills, Newberry, and Trautman (2002) analyze balance sheet accounting in tax data and document difficulties
18
log(investment)
6.5 6.6
6.4
6.5
6.3
6.4
6.2
6.1 6.3
1996 1998 2000 2002 2004 2005 2006 2007 2008 2009 2010
log(odds ratio)
1.4
1.1
1.3
1
1.2
0.9
1.1
1996 1998 2000 2002 2004 2005 2006 2007 2008 2009 2010
Notes: The top graphs plot the average logarithm of eligible investment over time for groups sorted according to
their industry-based treatment intensity. Treatment intensity depends on the average duration of investment, with
long-duration industries (treatment groups) seeing a larger average price cut due to bonus than short-duration indus-
tries (control groups). The bottom graphs plot the industry-level log odds ratio for the probability of positive eligi-
ble investment, thus offering a measure of the extensive margin response. The treatment years for bonus I are 2001
through 2004 and 2008 through 2010 for bonus II. In these years, the difference between changes in the dark and
the light lines provides a difference-in-differences estimator for the effect of bonus in that year for those groups.
The earlier years provide placebo tests and a demonstration of parallel trends. The averages plotted here result from
a two-step regression procedure. First, we nonparametrically reweight the group-by-year distribution (i.e., Dinardo,
Fortin, and Lemieux 1996 reweight) within ten size bins based on assets crossed with ten size bins based on sales
to address sampling frame changes over time. Second, we run cross-sectional regressions each year of the outcome
variable on an indicator for treatment group and a rich set of controls, including ten-piece splines in assets, sales,
profit margin, and age. We plot the residual group means from these regressions. To align the first year of each series
and ease comparison of trends, we subtract from each dot the group mean in the first year and add back the pooled
mean from the first year. All means are count weighted.
Source: Authors’ calculations
model. The baseline specification includes year and firm fixed effects. Standard
errors are clustered at the firm level in the intensive margin and tax term models.21
Because log odds ratios are computed at the industry level, standard errors in the
extensive margin model are clustered at the industry level.
The first column reports an intensive margin s emi-elasticity of investment with
respect to zof 3.7, an extensive margin semi-elasticity of 3.8, and a tax term elas-
ticity of − 1.6. The average change in zN, t was 4.8 cents (or 0.048) during the early
21
This is consistent with recent work (e.g., Desai and Goolsbee 2004; Edgerton 2010; Yagan 2015) and enables
us to compare our confidence bands to past estimates. The implicit assumption that errors within industries are inde-
pendent is strong, for the same reason that Bertrand, Duflo, and Mullainathan (2004) criticize papers that cluster at
the individual level when studying state policy changes. Our results in this section are robust to industry clustering,
as are the tax splits in the next section.
230 THE AMERICAN ECONOMIC REVIEW January 2017
Controls No No No No Yes No
Industry trends No No No No No Yes
f (Iit , Ki, t−1
) = αi + βg( zN, t ) + γ Xit + δt + εit ,
where I it is eligible investment expense and zN, t
is the present value of a dollar of eligible investment computed at
the four-digit NAICS industry level, taking into account periods of bonus depreciation. Column 2 augments the
baseline specification with current period cash flow scaled by lagged capital. Column 3 focuses on the early bonus
period and column 4 focuses on the later period. Column 5 controls for four-digit industry average Qfor public
companies and quartics in assets, sales, profit margin, and firm age. Column 6 includes quadratic time trends inter-
acted with two-digit NAICS industry dummies. Ratios are censored at the 1 percent level. All regressions include
firm and year fixed effects. Standard errors clustered at the firm level are in parentheses (industry level for the exten-
sive margin models).
Source: Author’s calculations
bonus period and 7 .8cents (or 0.078) during the later period, implying average
investment increases of 1 7.7log points (= 3.69 × 0.048 = 0.177) and 28.8 log
points (= 3.69 × 0.078 = 0.288) , respectively. In a simple investment model, the
elasticity of investment with respect to the net of tax rate, 1 − τ z , equals the price
elasticity and interest rate elasticity. Our empirical model delivers a large elasticity
of 7.2. Thus, by several accounts, bonus depreciation has a substantial effect on
investment. However, because these estimates are based on equal-weighted regres-
sions that include many small firms, the predictions are only accurate under the
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 231
strong assumption that the s emi-elasticity is independent of firm size. We relax this
assumption to produce an investment-weighted estimate in Section IVC.22
In the second column, including a control for contemporaneous cash flow scaled
by lagged capital does not alter the estimates. Columns 3 and 4 show a similar
semi-elasticity for both the early and late episodes. Column 5 controls for fourth
order polynomials in each of assets, sales, profit margin, and firm age, as well as
industry average Q measured from Compustat at the four-digit level. Column 6 adds
quadratic time trends interacted with two-digit NAICS industry dummies, which
causes the estimated semi-elasticity to increase.23 These alternative control sets do
not challenge our main finding: the investment response to bonus depreciation is
robust across many specifications.
D. Robustness
The calendar time plot in Figure 1 provides several visual placebo tests through
inspection of the parallel trends assumption in n on-bonus years. Because bonus
depreciation excludes very long-lived items (i.e., structures), we can use ineligible
investment as an alternative intratemporal placebo test. The first two columns of
Table 4 present two specifications of the intensive margin model, which replace
eligible investment with structures investment. The first specification is the baseline
model, and the second includes two-digit industry dummies interacted with qua-
dratic time trends. We cannot distinguish the structures investment response from
zero. Thus the results pass this placebo test.24
Another concern with our results is that they may merely reflect a reporting
response, with less real investment taking place. The third and fourth columns of
Table 4 provide a reality check. We replace our measure of investment derived from
form 4562 with net investment, which is the difference in logarithms of the capital
stock between year tand year t − 1. Both the baseline and industry trend regressions
confirm our gross investment results with net investment responding strongly as
well.
Columns 5 and 6 of Table 4 offer a sanity check of our findings. Here, the depen-
dent variable is an indicator for whether the firm reports depreciation expense
in the specific form item applicable to bonus. Effectively, this is a test for bonus
depreciation take-up. The table indicates that the probability of taking up bonus is
strongly increasing in the strength of the incentive.
Online Appendix Tables B.2, B.3, and B.4 provide additional evidence suggesting
omitted industry shocks are unimportant. In online Appendix Table B.2, we merge
average industry zN, tcomputed in our data to a Compustat sample and estimate
22
Furthermore, because the research design exploits cross-sectional program exposure net of time fixed effects,
the estimates do not reveal the overall general equilibrium effect of the program.
23
We can replace the quadratic time trends with increasingly nonlinear trends or two digit industry-by-time
fixed effects. We can also replace the time trends with two-digit industry interacted with log GDP or GDP growth.
In each case, the estimates increase. This suggests that omitted i ndustry-level factors bias our estimates downward.
Consistent with this story, Dew-Becker (2012) shows that long-duration investment falls more during recessions
than short-duration investment.
24
This placebo test is valid if structures are neither complements nor substitutes for equipment. Without this
assumption, the structures test remains useful because observing a structures response equal in magnitude or larger
than the equipment response would indicate that time-varying industry shocks drive our results.
232 THE AMERICAN ECONOMIC REVIEW January 2017
zN, t
0.52 1.10 1.07 0.78 0.95 1.15
(0.78) (0.98) (0.23) (0.22) (0.13) (0.16)
our baseline model using capital expenditures reported in firm financial statements.
Online Appendix Table B.2 confirms similar estimates to our baseline analysis and
for each round of bonus. The point estimate is somewhat larger, but not statistically
distinguishable from the estimate from our main sample.
In online Appendix Table B.3, we rerun the main specification within a Compustat
sample using the five recessions prior to 2001 as placebo tests of parallel trends. For
each recession we assume bonus depreciation was introduced in the first year of the
recession and applied, as in the first round of bonus, to the subsequent three years.
In contrast to our estimates from the policy period, four out of the five placebo
recessions show zero or negative effects. The recession beginning in 1973—which
coincided with a reinstatement of the investment tax credit and a shortening of
depreciation allowances—shows a positive effect, lending further o ut-of-sample
support to the importance of investment tax incentives.
Online Appendix Table B.4 takes a different approach and estimates our base-
line model using z i, tmeasured at the firm level to determine policy exposure. We
prefer the industry-level measure for our main analysis because measurement error
in policy exposure correlated with firm-level characteristics would confound our
heterogeneity tests. At the same time, the firm-level measure allows us to control
for industry-level shocks by including industry-by-time fixed effects. Relative to
the baseline fi
rm-level estimate, including two-digit industry-by-year or four-digit
industry-by-year fixed effects lowers point estimates somewhat. But the effects
remain strong and are statistically indistinguishable from the baseline estimates.
Bonus depreciation coincided at different points in time with other business tax
policy changes that may have affected investment as well. The most important of
these are the 2003 dividend tax cut, the temporary extensions of the net operating
loss carryback window from two to five years in both 2001 and in 2008, and the
temporary repatriation holiday of 2004. For any of these changes to confound our
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 233
We now present direct evidence that firms take the tax code into account when
making investment decisions. With respect to equipment investment, they pay
special attention to the depreciation schedule and the nonlinear incentives it cre-
ates. These nonlinear budget sets should induce bunching of firms at rate kinks.
Consistent with this logic, we find sharp bunching at depreciation kink points. This
evidence supports our claim that temporary bonus depreciation incentives were
also salient.
We study a component of the depreciation schedule, Section 179, which applies
mainly to smaller firms. Under Section 179, taxpayers may elect to expense quali-
fying investment up to a specified limit. With the exception of used equipment, all
investment eligible for Section 179 expensing is eligible for bonus depreciation.
Focusing on Section 179 thus serves as an out of sample test of policy salience that
remains closely linked to the bonus incentives at the core of the paper.
Each tax year, there is a maximum deduction and a threshold over which Section
179 expensing is phased out dollar for dollar. The kink and phase-out regions have
increased incrementally since 1993. When the tax schedule contains kinks and the
underlying distribution of types is relatively smooth, the empirical distribution
should display excess mass at these kinks (Hausman 1981; Saez 2010). Figure 2
shows how dramatic the bunching behavior of eligible investment is in our setting.
These figures plot frequencies of observations in our dataset for eligible investment
grouped in $250 bins. Each plot represents a year or group of years with the same
maximum deduction, demarcated by a vertical line. The bunching within $250 of
the kink tracks the policy shifts in the schedule exactly and reflects a density 5 to
15 times larger than the counterfactual distribution nearby.
In general, evidence of bunching at kink points reflects a mix of reporting and
real responses (Saez 2010). The bunching evidence is informative in either case
because these are both behavioral responses, which show whether firms understand
234 THE AMERICAN ECONOMIC REVIEW January 2017
Frequency
Frequency
2,000
300
400
1,500
200 300
1,000
200
500 100
100
10 20 30 40 10 20 30 40 10 20 30 40
Section 179 eligible Section 179 eligible Section 179 eligible
investment (000s) investment (000s) investment (000s)
Frequency
Frequency
300 300 600
Frequency
Frequency
250
200 200
200
150 100
150
100
100 0
50 100 150 50 100 150 50 100 150
Section 179 eligible Section 179 eligible Section 179 eligible
investment (000s) investment (000s) investment (000s)
Frequency
Frequency
150
200 200
150 150
100
100 100
50 50 50
50 100 150 60 80 100 120 140 160 180 200 220 240 260 280
Section 179 eligible Section 179 eligible Section 179 eligible
investment (000s) investment (000s) investment (000s)
Notes: These figures illustrate the salience of nonlinearities in the depreciation schedule. They show sharp bunch-
ing of Section 179 eligible investment around the depreciation schedule kink from 1993 through 2009. Each plot
is a histogram of eligible investment in our sample in the region of the maximum deduction for a year or group of
years. Each dot represents the number of firms in a $250 bin. The vertical lines correspond to the kink point for that
year or group of years.
Source: Authors’ calculations
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 235
and respond to the schedule. In the next section, we study the importance of imme-
diacy by comparing bunching activity across different groups of firms, which benefit
from bunching at different points in time. This test does not depend on whether the
response is real or reported.
The bonus depreciation design is less vulnerable to misreporting. In that
design, we can confirm the response by looking at other outcomes. In addition, the
difference-in-differences estimator is much less sensitive to misreporting by a small
fraction of total investment. Moreover, the sample contains many firms which use
external auditors, for whom misreporting investment entails substantial risk and lit-
tle benefit. Last, our conversations with tax preparers and corporate tax officers sug-
gest that misreporting investment is an inferior way to avoid taxes. This is because
investment purchases are typically easily verifiable, require receipts when audited,
and usually reduce current taxable income by just a fraction of each dollar claimed
as spent. In the case of investment expenses depreciated over multiple years, the
audit risk of misreporting is also extended over the entire depreciation schedule.
25
In their tax returns, firms separately report rental payments for computing net income. Unfortunately, this
item does not permit decomposition into equipment and structures leasing.
236 THE AMERICAN ECONOMIC REVIEW January 2017
zN, t
6.29 3.22 5.98 3.67 7.21 2.76
(1.21) (0.76) (0.88) (0.97) (1.38) (0.88)
Equality test p = 0.030 p = 0.079 p = 0.000
Notes: This table estimates regressions from the baseline intensive margin specification pre-
sented in Table 3. We split the sample based on pre-policy markers of financial constraints.
For the size splits, we divide the sample into deciles based on the mean value of sales, with the
mean taken over years 1998 through 2000. Small firms fall into the bottom three deciles and big
firms fall into the top three deciles. For the dividend payer split, we divide the sample based on
whether the firm paid a dividend in any of the three years from 1998 through 2000. The divi-
dend split only includes C corporations. The lagged cash split is based on lagged residuals from
a regression of liquid assets on a ten-piece spline in total assets and fixed effects for four-digit
industry, year, and corporate form. The comparison is between the top three and bottom three
deciles of these lagged residuals. All regressions include firm and year fixed effects. Standard
errors clustered at the firm level are in parentheses.
Source: Authors’ calculations
firms and statistically significantly different with a p-value of 0.03.26 When we mea-
sure size with total assets or payroll, the results are unchanged.
The second two columns of Table 6 present separate estimates for firms who paid
a dividend in any of the three years prior to the first round of bonus depreciation.27
The nonpaying firms are significantly more responsive. Our third sample split is
based on whether firms enter the bonus period with relatively low levels of liquid
assets. We run a regression of liquid assets on a ten-piece linear spline in total assets
plus fixed effects for four-digit industry, time, and corporate form. We sort firm-year
observations based on the residuals from this regression lagged by one year. Note
that this sort is approximately uncorrelated with firm size by construction. The last
two columns of Table 6 report separate estimates for the top and bottom three deciles
of residual liquidity. The results using this marker of liquidity parallel those in the
size and dividend tests, with the low-liquidity firms yielding an estimate of 7.2 as
compared to 2.8 for the high-liquidity firms.
Online Appendix Table B.6 presents means of various firm-level characteristics
for each size decile. The relationship between firm size and dividend activity is
non-monotonic, with both small and large firms exhibiting higher payout rates than
firms in the middle of the distribution. Liquidity levels are somewhat lower for the
smallest firms, but are constant across the rest of the firm size distribution. Thus,
firm size is not a sufficient proxy for the other characteristics in accounting for the
heterogeneity results.
26
Cross-equation tests are based on seemingly unrelated regressions with firm-level clustering.
27
We only use the first round of bonus for the dividend split. The dividend tax cut of 2003, which had a strong
effect on corporate payouts (Yagan 2015), may have influenced the stability of this marker for the later period.
238 THE AMERICAN ECONOMIC REVIEW January 2017
For firms with positive taxable income before depreciation, expanding investment
reduces this year’s tax bill and returns extra cash to the firm today. Firms without
this immediate incentive can still carry forward the deductions incurred, but must
wait to receive the tax benefits.28 We present evidence that, for both Section 179 and
bonus depreciation, this latter incentive is weak, and differences in growth opportu-
nities cannot explain this fact.
The Section 179 bunching environment offers an ideal setting for document-
ing the immediacy of investment responses to depreciation incentives. The simple
idea is to separate firms based on whether their investment decisions will offset
current-year taxable income, or whether deductions will have to be carried forward
to future years. We choose net income before depreciation expense as our sorting
variable. Firms for which this variable is positive have an immediate incentive to
invest and reduce their current tax bill. If firms for which this variable is negative
show an attenuated investment response and these groups are sufficiently similar, we
can infer that the immediate benefit accounts for this difference.
The panels of Figure 3 starkly confirm this intuition. In panel A, we pool all
years in the sample, recenter eligible investment around the year’s respective kink,
and split the sample according to a firm’s taxable status. Firms in the left graph
have positive net income before depreciation and firms in the right graph have neg-
ative net income before depreciation. For firms below the kink on the left, a dollar
of Section 179 spending reduces taxable income by a dollar in the current year.
Retiming investment from the beginning of next fiscal year to the end of the current
fiscal year can have a large and immediate effect on the firm’s tax liability. For firms
below the kink on the right, the incentive is weaker because the deduction only adds
to current year losses, deferring recognition of this deduction until future profitable
years. As the figure demonstrates, firms with the immediate incentive to bunch do so
dramatically, while firms with the weaker, forward-looking incentive do not bunch
at all.
One objection to the taxable versus nontaxable split is that nontaxable firms
have poor growth opportunities and so are not comparable to taxable firms. We
address this objection in two ways. First, we restrict the sample to firms very near
the zero net income before depreciation threshold to see whether the difference per-
sists when we exclude firms with large losses. Panel A of online Appendix Figure
B.1 plots bunch ratios for taxable and nontaxable firms, estimated within a narrow
bandwidth of the tax status threshold. The difference in bunching appears almost
immediately away from zero, with the confidence bands separating after we include
firms within $50,000 of the threshold. For loss firms, the observed pattern cannot be
distinguished from a smooth distribution, even for firms very close to positive tax
position. The bunching difference for nontaxable firms is not driven by firms making
very large losses.
28
In the code, current-loss firms have the option to “carry back” losses against past taxable income. The IRS
then credits the firm with a tax refund. Our logic assumes that firms have limited loss carryback opportunities
because, in the data, we find low take-up rates of carrybacks. Furthermore, carrybacks create a bias against our
finding a difference between taxable and nontaxable firms, because carrybacks create immediate incentives for the
nontaxable group.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 239
Panel A. By current year tax status Panel B. By lagged loss carryforward stock
Excess mass
2
0
0
0 5 10 15
0
5
10
5
10
10
10
5
−
−
−
Notes: These figures illustrate how bunching behavior responds to tax incentives. Firms bunch less when eligible
investment provides less cash back now. Panel A splits the sample based on whether firm net income before depre-
ciation is greater than or less than zero. Firms with net income before depreciation less than zero can carry back or
forward deductions from eligible investment, but have no more current taxable income to shield. Panel B groups
firms with current year taxable income based on the size of their prior loss carryforward stocks. The x-axis measures
increasing loss carryforward stocks relative to current year income. The y-axis measures the excess mass at the kink
point for that group. Firms with more alternative tax shields find investment a less useful tax shield and therefore
bunch less. Excess mass ratios are computed using the algorithm and code in Chetty et al. (2011).
Source: Authors’ calculations
Table 7 replicates the tax status split idea in the context of bonus depreciation.
We modify the intensive margin model from Table 3 by interacting all variables with
a taxable indicator based on whether net income before depreciation is positive or
negative. According to these regressions and consistent with the bunching results,
the positive effect of bonus depreciation on investment is concentrated exclusively
among taxable firms. The s emi-elasticity is statistically indistinguishable from zero
for nontaxable firms, while it is 3.8for taxable firms. In panel B of online Appendix
Figure B.1, we repeat the narrow bandwidth test for bonus depreciation. The figure
plots the coefficients on the interaction of taxable and nontaxable status with the
policy variable. The difference in coefficients in Table 7 emerges within $50,000 of
the tax status threshold, and these coefficients are statistically distinguishable within
$100,000 of the threshold. Here as well, the results are not driven by differences for
firms far from positive tax positions.
To further address the concern about nontaxable firms, panel B of Figure 3 uses
differences within the group of taxable firms. This plot shows again that bunching
is due to tax planning with regard to the immediate potential benefit. We divide
profitable firms by their stock of loss carryforwards in the previous year. Each dot
in this plot represents a bunching histogram where the y-axis measures the degree
of bunching using the excess mass estimator in Chetty et al. (2011). The groups
are sorted according to the ratio of lagged loss carryforward stock to current year
net income before depreciation, which proxies for the availability of alternative tax
shields. The scatter clearly indicates a negative relationship between the presence of
this alternative tax shield and the extent of eligible investment manipulation.
240 THE AMERICAN ECONOMIC REVIEW January 2017
Controls No No No No Yes No No
Industry trends No No No No No Yes No
Notes: This table estimates regressions from each intensive margin specification, in columns 1 through 6, presented
in Table 3. For each firm year, we generate an indicator based on whether a firm is in taxable position prior to depre-
ciation expense. We fully interact this indicator with all controls and the time effects. Column 7 splits taxable firms
into three groups based on the size of their lagged loss carryforward stocks relative to net income before depreci-
ation. We interact these group indicators with z N, t
and the time effects. Only firms with nonzero stocks of lagged
loss carryforwards are included. All regressions include firm and year fixed effects. Standard errors clustered at the
firm level are in parentheses.
Source: Authors’ calculations
We confirm this pattern in the bonus setting. Column 7 of Table 7 focuses on the
group of taxable firms with nonzero stocks of lagged loss carryforwards. We split
this group into three subgroups based on the size of their carryforward stock. Firms
with large stocks of loss carryforwards display a s emi-elasticity with respect to z of
2 compared to a semi-elasticity of 5.7 for firms with low loss carryforward stocks.
Investment is concentrated among the largest firms in the firm size distribution,
which exhibit lower elasticities than the average firm in our sample. Thus to produce
an informative elasticity, we must account for heterogeneous responses by firm size
and extrapolate our estimates to the population of firms beyond the scope of our
sample. Online Appendix C.C1 describes this calculation in further detail.
We reestimate the baseline model separately for each of 20 size groups and
compute the weighted average of the elasticities, where a group’s respective
investment share is taken to be its weight. In our sample, the average share of
aggregate eligible investment for the top 5 percent of firms is 62 percent, account-
ing for sampling weights. The weighted average elasticity is 2.89, or 22 percent
lower than the e qual-weighted elasticity of 3.69. The elasticity for the top group
is 2.27. Thus, accounting for the bottom 95 percent of firms materially affects our
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 241
investment-weighted estimate, which is 27 percent higher than the elasticity for the
top group. The weighted elasticity implies a predicted effect of 13.8 percent for the
first round of bonus and 22.7 percent for the second round, both computed relative
to a counterfactual prediction without bonus.29
Our eligible investment amounts do not reflect all eligible investment in the econ-
omy. We use data from Kitchen and Knittel (2011) on aggregate investment by
corporate form to extrapolate our estimates to investment done outside our sam-
ple. First, we focus on a subsample of all corporations: namely C and S corpora-
tions large enough to clear the size threshold based on average eligible investment.
Second, a significant amount of eligible investment is undertaken outside the corpo-
rate sector, either in partnerships or in sole proprietorships operated by individuals.
On average, our sample represents 44 percent of all eligible investment during
the policy window. Of the remainder, 22 percent takes place in corporations outside
our sample, 20 percent takes place in partnerships, and 13 percent takes place within
the sole proprietorship sector. We divide investment within these other sectors based
on whether that investment is likely subject to bonus or instead would qualify for
Section 179 expensing in most years. We also incorporate relative differences in
take-up of the provision across sectors, which may reflect differences in tax loss
position or policy awareness. In cases where our sample gives limited guidance on
what elasticity to use, we apply a conservative estimate, which tends to lower the
overall estimate. Taking these considerations into account yields a predicted effect
of 10.4 percent for the first round of bonus and of 16.9 percent for the second round,
both computed relative to a counterfactual prediction without bonus. These corre-
spond to average annual dollar amounts of $73.6 billion and $135 billion per year in
the first and second rounds, respectively.
We also consider an alternative approach to estimate an aggregate response,
which provides a lower bound response by exploiting only the c ross-sectional vari-
ation induced by the policy. Online Appendix C.C2 describes this calculation in fur-
ther detail. The idea is to use the group that receives the smallest shock due to bonus
as a counterfactual, and then compute the policy effect for other groups relative to
this one. By construction, any time series effect of the policy shown by the bottom
group is set to zero and removed from the effect computed for other groups. This
provides a lower bound because the bottom group also benefits from the policy and
thus would exhibit a positive response (as long as general equilibrium price effects
are not too strong to undo the subsidy).
We divide industries into 20 e qual-sized bins based on the p re-policy weighted
present value of depreciation deductions, zN , for that industry. We use the investment
weighted-average elasticity of 2.89 to translate the changes in zto changes in invest-
ment for each group. We aggregate these changes in investment and compute the
average change for each policy period. The results imply an average annual response
for the full population of firms relative to the lowest exposure group of $30.4 billion
and $55.9 billion in the first and second bonus rounds, respectively. As a percent of
aggregate investment, the respective lower bounds for each period are 3.9 percent
and 6.0 percent.
29
This prediction relies on cross-sectional identification net of time fixed effects, so does not produce a coun-
terfactual that accounts for general equilibrium effects.
242 THE AMERICAN ECONOMIC REVIEW January 2017
Online Appendix Table B.8 collects from other studies estimates that we can
compare to our tax term model. Like our study, each one uses tax reforms crossed
with industry characteristics to estimate the effect of taxes on investment. Panel A
of Figure 4 plots the estimates from these studies with confidence bands, highlights
the consensus range, and compares them to our estimate. The average tax term elas-
ticity across these studies is −0.69, which falls within Hassett and Hubbard’s (2002)
consensus range of −0.5 to −1, but is less than half our estimate of −1.60.
There are three reasons why our estimates likely differ from these previous stud-
ies. First, our sample includes more small and m edium-sized firms than have been
previously available. Panel B of Figure 4 plots elasticities and confidence bands from
regressions run for each of ten deciles based on average sales. These estimates help us
reconcile our findings with past studies. The largest firms show tax term elasticities in
line with the findings surveyed in Hassett and Hubbard (2002), while smaller firms, for
whom data were previously unavailable, yield estimates outside the consensus range.
Online Appendix Table B.2 confirms this heterogeneity by firm size within the
Compustat sample. The average Compustat firm falls within the tenth decile of our
sample in terms of size, but there are many small Compustat firms which also show
large responses to bonus depreciation. An investment-weighted tax term elastic-
ity within our sample falls within the confidence intervals of Desai and Goolsbee
(2004) and Edgerton (2010), but remains on the high end of estimates.
A second reason why our estimates may differ is attenuation bias due to mea-
surement error, which has often plagued studies of taxes and investment (see, e.g.,
Goolsbee 2000) and is a key concern motivating Cummins, Hassett, and Hubbard’s
(1994) focus on tax reforms. Like past studies, we proxy for the firm-level benefit of
bonus depreciation with an industry measure of policy benefits. Unlike these stud-
ies, our measure derives directly from tax data, reducing measurement error.
Measurement error is a particular concern in studying the role of tax status.
Cummins, Hassett, and Hubbard (1995) and Edgerton (2010) note that tax losses
will reduce the incentive of firms to respond to tax changes. The former study uses
a sample of 60 loss firms to conclude that losses reduce the effect of tax breaks
on investment. The latter maps financial accounting data to a tax account and
finds mixed evidence that losses matter. Recent work documents large differences
between “book” and tax accounts, which introduces the risk of measurement error
into such a mapping (Mills, Newberry, and Trautman 2002). With our data, we can
precisely measure whether a firm’s current tax position means that the next dollar
of investment affects this year’s tax bill. Our sample of loss firms includes almost
200,000 loss year observations.
Finally, a third difference between our study and most past work is our focus
on depreciation incentives. Earlier studies pool the effects of different tax reforms,
which include depreciation changes, tax rate changes, and rule changes regard-
ing corporate form. If some of these policies have weaker effects on investment
behavior, perhaps because they do not target investment directly or immediately,
then past estimates will be attenuated.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 243
−β
Cummins, Hassett,
and Hubbard (1996)
Edgerton (2010)
Us
Cummins, Hassett,
and Hubbard (1994)
1.0
0
Time
Desai and Goolsbee (2004)
0
Average Compustat firm
−2
−3
−4
0 2 4 6 8 10
Size bins (sales)
Notes: These figures plot coefficients and confidence bands from tax term specifications (see the third row of
Table 3) for past studies of tax reforms and our sample. Panel B splits the sample into deciles based on mean
pre-policy sales. The average firm in Compustat during this time period falls in the tenth size bin (with sales equal
to $1.8 billion), which coincides with the Hassett and Hubbard (2002) survey range of user cost elasticity estimates
(−0.5 to −1).
Sources: Panel A: Studies cited in online Appendix Table B8. Panel B: Authors’ calculations.
In focusing only on this policy, the study most closely related to ours is House and
Shapiro (2008), who study the first episode of bonus depreciation using aggregate
investment data at a quarterly frequency. Their design compares residuals from a pre-
diction model for investment in short duration and long duration categories, thus rely-
ing on a similar source of c ross-sectional variation to identify the effect of the policy.
Online Appendix Table B.9 reproduces their estimate and presents parallel esti-
mates applying their specification and sample time frame to the main bonus analysis
244 THE AMERICAN ECONOMIC REVIEW January 2017
sample. We first replicate their main result and then reestimate their model using
annualized data. Our baseline, equal-weighted estimates are approximately twice
the size of theirs. When we restrict attention to the largest decile of firms based on
average sales, which account for nearly 70 percent of aggregate investment within
our sample, the estimates are in line with House and Shapiro (2008). Thus, the esti-
mated effect of bonus for our sample is largely consistent with their findings.
House and Shapiro (2008) also show that for the first round of bonus, and in
contrast to the earlier episodes of the investment tax credit, equipment prices did
not increase. They conclude that the small price effects imply an important role for
internal adjustment costs in limiting investment demand; our heterogeneity results
lend further support to this conclusion, in which either financial frictions or internal
fixed costs fill this role. Such frictions may also help explain why the second round
of bonus influenced investment despite historically low nominal interest rates.
With respect to other policy reforms in the United States, Goolsbee (1998) shows
that changes in the investment tax credit, which were more permanent and often
did not occur during recessions, coincide with price increases that mute quantity
responses, especially in less competitive industries. Yagan (2015) shows that invest-
ment did not respond to the dividend tax cut in 2003, in a research design that
carefully compares C corporations to S corporations that were unaffected by the div-
idend tax. In the case of depreciation incentives, both House and Shapiro (2008) and
our estimates provide strong evidence of an investment response.30 Confirming and
reconciling the difference in power between various tax instruments is an important
goal for future research.
30
In Cummins, Hassett, and Hubbard’s (1996) study of tax reforms in twelve other countries, the three reforms
with the largest estimates all featured changes in depreciation rules or investment incentives. These countries were
Spain, Norway, and Belgium. Standard errors for these reforms are too large to draw a definitive conclusion about
the relative importance of investment incentives.
31
See Fazzari, Hubbard, and Petersen (1988) for an early application of this methodology and Almeida,
Campello, and Weisbach (2004), and Chaney, Sraer, and Thesmar (2012) for recent examples. Criticism of split
sample markers dates back to Poterba’s comments in Fazzari, Hubbard, and Petersen (1988).
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 245
For example, idiosyncratic failure risk might generate higher discount rates for
small firms even in the absence of costly finance. Online Appendix Table B.6 shows
that failure rates are indeed higher for the smallest decile of firms, though the fail-
ure rate-size slope is flat for the remaining 90 percent of firms. Furthermore, split
sample tests based on ex post failure or a predictive model of failure reveal similar
or lower elasticities for firms with higher expected failure risk. While we cannot
measure failure expectations directly, these facts suggest high discount rates driven
by fear of failure do not explain our results.
An alternative model is managerial myopia or short termism, which raises
effective discount rates by sharply discounting the future relative to the present.
Consistent with this story, firms only respond to investment incentives when the
policy immediately generates after-tax cash flows. The finding for nontaxable firms
contradicts a simple model of costly external finance, because firms neglect how
the policy affects borrowing in the future. At the same time, firms cannot be too
myopic because the investment decision itself only pays off in the future. Thus for
myopia to be the explanation, managers must use different accounts to think about
investment decisions and the tax implications, or they must balance short-termist
concerns about cash flows with long-termist concerns about having sufficient capital
in the future.
It is possible that managers view investment as a tax shield whose value falls
discontinuously when the firm is no longer in taxable position, and that they per-
ceive the slight increase in future p er-period taxes as second order. This view is
consistent with how the policies are often marketed by equipment producers. For
example, Section179.org provides information on equipment depreciation policies
and a calculator that firms can use to estimate their tax savings when making eligible
purchases. As of the time of this writing, these savings were calculated relative to
a zero deduction benchmark, instead of the MACRS schedule, which is the appro-
priate counterfactual. The website is operated by an equipment financing company.
As an alternative to financial and managerial frictions, Winberry (2015) pres-
ents a model of fixed costs that can generate large average responses of invest-
ment to bonus depreciation. In that model, when the policy induces a firm across its
adjustment threshold, investment increases sharply because the firm does not plan
to adjust every year. The observed change in investment for adjusting firms is thus
larger than in a model with convex adjustment costs. Winberry (2015) focuses pri-
marily on the average response rather than drivers of heterogeneous effects, but we
can ask whether firms likely to be induced across an adjustment threshold exhibit
stronger effects.
Online Appendix Table B.7 presents a series of split sample tests designed to
explore this idea. We cannot observe a firm’s investment plans and adjustment
threshold, so develop a set of proxies motivated by Winberry’s (2015) model,
acknowledging that these markers are imperfect. Because they are more likely to
adjust in the absence of the policy, firms with high levels of sales growth, young
firms, and firms with a high expected probability of an investment spike or a low
expected probability of inaction should be less responsive to bonus.
The results indeed offer some support for the fixed cost interpretation. High
sales growth and high spike firms do exhibit lower sensitivities, and firms with a
high likelihood of inaction appear more responsive than firms with a low likelihood
246 THE AMERICAN ECONOMIC REVIEW January 2017
of inaction. However, young firms do not appear less responsive than older firms.
Online Appendix Table B.6 presents means of these adjustment markers for each
size decile. Growth rates are n on-monotonic in firm size, with the largest and small-
est firms growing faster than firms in the middle. The smallest firms do not exhibit
higher spike rates but are considerably more likely to be inactive. The average age
for firms in the bottom decile is 19.5. While these firms are younger than their larger
counterparts, they are not especially young. In summary, there does not appear to
be a single firm characteristic—whether based on markers of financial frictions or
predictors of adjustment—that can account for the full set of results.
VI. Conclusion
This paper combines methods from public and applied economics with new com-
prehensive micro data to address a first order macroeconomic question: what is the
effect of taxes on investment and how does it differ across firms?
We find that firms respond strongly to depreciation incentives. Ignoring small
firms leads to estimates considerably below those that properly account for the het-
erogeneity in the population of firms. Because small firms are thought to face larger
financial frictions, our heterogeneity results—that the investment response is larger
for small, cash-poor firms, but only when the benefit is immediate—suggest finan-
cial frictions may be a natural explanation for the observed facts. However, since
fixed costs to capital stock adjustment may also vary across firms—and firms more
likely to be induced across an adjustment threshold also exhibit larger elasticities—
more work is needed to differentiate the key mechanisms.
Another question for future research concerns the nature of tax planning. How do
tax preparers and equipment sellers affect the decision to take up these policies? More
generally, do firms focus on minimizing current taxes at the possible expense of future
payoffs? The answer to these questions might shed light on how agency problems
interact with public policy and on how firms learn optimal management practices.
The results imply that stimulus policies which target investment directly and yield
immediate payoffs are most likely to influence investment activity. Policies that tar-
get financial constraints might have a similar effect if conditional on the investment
decision. In an approximate sense, bonus depreciation operates like a loan from the
government, with a spread equal to the difference between the firm’s discount rate
and the federal rate.
While we show a strong immediate investment response, the net effect of this
stimulus on the capital stock is less certain. If all of the response comes in the form
of substitution from the near future, then the value of the policy in supporting pro-
ductivity or l ong-term capital investment will be limited. In comparison to studies of
consumer durable goods, we find less evidence of intertemporal shifting, but more
work on this question is needed. Data from the period following the recent stimulus,
once available, will be very useful.
VOL. 107 NO. 1 Zwick and Mahon: Tax Policy and Investment Behavior 247
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