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The Dividend Substitution Hypothesis: Australian Evidence
Authors:Christine Brown  John Handley  James O'Day
Affiliation:1. Department of Banking and Finance, Monash Business School, Monash University, Victoria;2. Department of Finance, University of Melbourne, Victoria
Abstract:In a perfect capital market firms are indifferent to either dividends or repurchases as payout mechanisms, suggesting that the two payout methods should be perfect substitutes. Empirical research at the single country level, as well as cross country studies, provide evidence that dividends and repurchases act as substitutes (the dividend substitution hypothesis), and that the tax treatment of dividends versus capital gains affects this relation. Australia, which operates under a full dividend imputation system, has two types of repurchases: on‐ and off‐market. On‐market repurchases are taxed as capital gains while off‐market repurchases comprise a large dividend component carrying valuable tax credits. Australia thus provides a natural setting to investigate how the tax treatment of proceeds affects the dividend substitution hypothesis. Dividend substitution is found to exist for on‐market repurchases but not for off‐market repurchases, thus providing further support for the idea that the tax treatment of proceeds affects the substitutability of repurchases and dividends.
Keywords:Buyback  Dividend imputation  Equal access  Franking  Off‐market  On‐market  Payout  Repurchase
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