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						 EU 
						says Starbucks' 'very low' Dutch tax deal may be illegal 
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		[November 15, 2014] 
		By Foo Yun Chee and Tom Bergin
 BRUSSELS/LONDON (Reuters) - A tax deal the 
		Netherlands cut with Starbucks Corp <SBUX.O> may be illegal state aid, 
		European Union regulators said on Friday, part of a crackdown on members 
		attracting investment by helping companies to avoid tax.
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			 Luxembourg, Ireland, Malta, Belgium, Cyprus and Gibraltar are also 
			facing scrutiny over tax deals they have struck with multinational 
			companies. 
 The inquiries have overshadowed the early days of the new European 
			Commission led by Jean-Claude Juncker, prime minister and finance 
			minister of Luxembourg for more than two decades, and intensified 
			calls among lawmakers and EU countries for a more harmonised tax 
			system in the 28-country bloc.
 
 The European Commission said it suspects the Dutch tax ruling allows 
			Starbucks, the world's biggest coffee chain, to lower its taxable 
			profit, and thereby its tax bill, in a way that is at odds with 
			accepted accounting rules.
 
			  
			
			 
			"The Commission’s preliminary view is that the advanced pricing 
			arrangements in favour of Starbucks Manufacturing EMEA BV 
			constitutes state aid," the EU executive said.
 Deputy Finance Minister Eric Wiebes said that the Starbucks deal "is 
			fully in line with international transfer pricing standards, is 
			consistent with the policy framework applied by the government in 
			its efforts to create an attractive business climate".
 
 Starbucks said it was confident EU regulators would conclude that it 
			had not received a selective advantage.
 
 COFFEE BEANS
 
 The Commission said the Dutch tax authority had allowed a Starbucks 
			subsidiary called Starbucks Manufacturing EMEA BV to declare a 
			taxable profit equal to a percentage of its costs, but also allowed 
			the company to exclude most of its costs when making the 
			calculation.
 
 This was partly achieved by excluding the cost of coffee beans. The 
			Dutch justified this, saying the beans remained the property of 
			another Starbucks subsidiary.
 
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			However, the Commission noted the beans appeared on Starbucks 
			Manufacturing EMEA's balance sheet.
 In 2012, the company's Chief Financial Officer told a UK 
			parliamentary hearing that the Dutch tax deals were "an attractive 
			reason" to be based in Amsterdam.
 
 "It is a very low tax rate.... they do offer very competitive tax 
			rulings," Troy Alstead said.
 
 If the EU investigation finds Starbucks did receive an unfair 
			advantage, the company could be forced to repay unpaid tax but the 
			amounts are unlikely to be large.
 
 The tax saving achieved by excluding costs from Starbucks 
			Manufacturing EMEA's cost base in the years examined, was under 20 
			million euros, according to Reuters calculations.
 
 The probe is one of four into so-called sweetheart deals which the 
			Commission said may give the companies an unfair advantage. The 
			other three firms are online retailer Amazon <AMZN.O>, Italian 
			carmaker Fiat <FCHA.MI> and iPhone maker Apple <AAPL.O>.
 
 (Additional reporting Anthony Deutsch in Amsterdam and Heleen van 
			Geest in Brussels; editing by Keith Weir)
 
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