588
C H A PT E R 1 8 Capital Structure and The Cost of Capital
Except for rounding, this is the same as the percentage change in eps (46.7 percent)
divided by
the percentage change in sales (10 percent): 46.7 percent/10 percent = 4.67.
By knowing the DCL factor, we can estimate next year’s change in net income (assuming no
major change occurs in the income tax rate) by multiplying the expected percentage change in net
sales by the DCL of 4.67. For example, a 10 percent increase in net sales will increase net income
by 46.7 percent (10 percent times the combined leverage factor of 4.67). Combined leverage
works
in both directions, and a decline in net sales might place the fi rm in a diffi
cult fi nancial pos-
ition. A 10 percent decline in sales will be expected to reduce net income and eps by 46.7 percent.
Using operating and fi nancial leverage produces a compound impact when a change in
net sales occurs. Thus, from a risk perspective, the fi nancial manager must use operating and
fi nancial leverage to form an acceptable combined leverage eff ect.
For example, if a fi rm’s stockholders do not like large amounts of risk, a fi rm with a high
DOL may attempt to keep fi nancial leverage low.
In other words, it will use relatively less debt
and more equity to fi nance its assets. Likewise, a fi rm with low business risk (that is, steady
sales and low fi xed operating expenses), such as an electric utility, can support a higher DFL
and use relatively more debt fi nancing. There is no evidence that fi rms
adjust their DOLs and
DFLs to match some standard degree of combined leverage, but their relationship does imply
a potential trade-off between a fi rm’s business and fi nancial risk.
18.8
Insights From Theory and Practice
An insight from our discussion of combined leverage is that a fi rm with greater business risk
may be inclined to use less debt in its capital structure, while a fi rm
with less business risk
may use more debt in its capital structure. Theories of fi nancial researchers have shed light on
additional infl uences on the capital structure decision.
Taxes and Nondebt Tax Shields
Interest on debt is a tax-deductible expense whereas stock dividends are not; dividends are
paid from after-tax dollars. This gives fi rms a tax incentive to use debt fi nancing.
In reality, the benefi ts of tax-deductible debt have limits. Business risk leads to EBIT
variations
over time, which can lead to uncertainty about the fi rm’s ability to fully use future
interest deductions. For example, if a fi rm has a negative or zero operating income, an interest
deduction will provide little help; it just makes the pretax losses larger.
Firms in lower tax
brackets have less tax incentive to borrow than those in higher tax brackets.
In addition, fi rms have other tax-deductible expenses besides interest. Various cash and
noncash expenses, such as depreciation, R&D, and advertising expenses,
can reduce operating
income. Thus, the tax deductibility of debt becomes less important to fi rms with large nondebt
tax shields. Foreign tax credits, granted by the U.S. government to fi rms that pay taxes to for-
eign governments, also diminish the impact of the interest deduction.
Bankruptcy Costs
The major drawback to debt in the capital structure is its legal
requirement for timely pay-
ment of interest and principal. As the debt/total asset ratio rises, or as earnings become more
volatile, the fi rm will face higher borrowing costs, driven upward by bond investors requiring
higher yields to compensate for additional risk.
A rational marketplace will evaluate the probability and associated costs of bankruptcy for
a levered fi rm.
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