Apple appeals EU tax
ruling, says it was a 'convenient target'
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[December 19, 2016]
By Foo Yun Chee
CUPERTINO,
Calif./BRUSSELS (Reuters) - Apple <AAPL.O> has launched a legal
challenge to a record $14 billion EU tax demand, arguing that EU
regulators ignored tax experts and corporate law and deliberately picked
a method to maximize the penalty, senior executives said.
Apple's combative stand underlines its anger with the European
Commission, which said on Aug. 30 the company's Irish tax deal was
illegal state aid and ordered it to repay up to 13 billion euros ($13.8
billion) to Ireland, where Apple has its European headquarters.
European Competition Commissioner Margrethe Vestager, a former Danish
economy minister, said Apple's Irish tax bill implied a tax rate of
0.005 percent in 2014.
General Counsel Bruce Sewell and Chief Financial Officer Luca Maestri
outlined in an interview with Reuters at Apple's global headquarters in
Cupertino the company's plans for its appeal against the Commission's
ruling at Europe's second highest court.
The iPhone and iPad maker was singled out because of its success, Sewell
said.
"Apple is not an outlier in any sense that matters to the law. Apple is
a convenient target because it generates lots of headlines. It allows
the commissioner to become Dane of the year for 2016," he said,
referring to the title accorded to Vestager by Danish newspaper
Berlingske last month.
Apple will tell judges the Commission was not diligent in its
investigation because it disregarded tax experts brought in by Irish
authorities.
"Now the Irish have put in an expert opinion from an incredibly
well-respected Irish tax lawyer. The Commission not only didn't attack
that - didn't argue with it, as far as we know - they probably didn't
even read it. Because there is no reference (in the EU decision)
whatsoever," Sewell said.
SHELTERING PROFITS
The European Commission accused Ireland in 2014 of dodging international
tax rules by letting Apple shelter profits worth tens of billions of
dollars from tax collectors in return for maintaining jobs. Apple and
Ireland denied the accusation.
On Monday the Commission published the detailed version of its decision
which may provide clues as to how the Commission will deal with similar
tax cases in future.
It cited, for example, notes of a meeting in 1990 between Apple's tax
adviser and the Irish revenue service discussing an appropriate level of
profits Apple's Irish unit would pay tax on - Apple's adviser suggesting
a ceiling of $30-40 million.
"[Apple’s tax adviser] confessed there was no scientific basis for the
figure. However the figure was of such magnitude that he hoped it would
be seen to be a bona-fide proposal," the excerpt read.
Ireland’s tax treatment has allowed Apple to avoid tax on tens of
billions of dollars of non-U.S. profit. Over the past 10 years, the
company has paid tax at a rate of 3.8 percent on $200 billion of
overseas profits, filings show. This is a fraction of the tax rate in
the countries where Apple’s products are designed, made and sold.
The low rate is achieved by Apple telling U.S. tax authorities that the
profits are earned by Irish units. Meanwhile it tells Ireland the
profits are not earned in Ireland.
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A 3D printed Apple logo
is seen in front of a displayed European Union flag in this
illustration taken September 2, 2016. REUTERS/Dado Ruvic/Illustration
Some
lawmakers in the United States and in countries where Apple has large sales have
criticized the arrangement.
Ireland says if it’s not fair, it’s other countries' fault for not closing
loopholes. On Monday Ireland accused the Commission of exceeding its powers and
interfering with EU member states' national sovereignty over tax affairs.
Apple also intends to challenge the EU enforcer's basis for its case, arguing
that what Sewell called the "crazy notion of non-residency" was chosen on
purpose to produce a punitive amount.
Other arguments the EU could have used could have been based on transfer pricing
- the pricing strategy between a company's units - or the "arm's length"
principle adopted by companies to sell and buy from affiliates as if they were
unrelated firms.
"Both of those other two theories at least could be fleshed out, but they
produced much lower numbers," Sewell said.
He added it was not possible for Apple to comply with the EU decision because it
would mean Ireland violating its own past tax laws setting different rules for
residents and non-resident companies.
Apple plans to tell the court that the Commission erred when it ruled that the
head office of Irish-registered units Apple Sales International (ASI) and Apple
Operations Europe existed only on paper, with no justification for the billions
of euros it posted in untaxed profits.
Sewell said the fact that an entity was a holding company with no employees on
its books did not mean it was inactive and it could be actively managed by
employees of its parent company.
"So when Tim Cook, who is the CEO of our company, makes decisions that impact
ASI, the Commission says we don't care because he is not an ASI employee, he is
an Apple Inc employee. But to say that somehow Tim Cook can't make decisions for
ASI is a complete mis-statement of corporate law, it's a misunderstanding of how
corporations operate," he said.
"ABSURD THEORY"
Maestri said the Commission over-estimated the importance of the company's
European headquarters in Cork in the south of Ireland.
"(Vestager) is arguing that the base on which we should pay taxes in Ireland is
essentially all the profits we generate outside the United States ... in a place
that doesn't do any engineering, doesn't generate any intellectual property for
us," he said, adding it was an "absurd theory."
The company hopes U.S. president-elect Donald Trump will enact tax reforms,
Sewell said.
The U.S. tax system, Sewell said, was a worldwide system while the rest of the
world had territorial systems.
"The difference between those two creates exactly the kind of loophole that the
Commission has now been able to exploit," he said.
(Reporting by Foo Yun Chee; additional reporting by Julia Fioretti in Brussels
and Tom Bergin in London; editing by Philip Blenkinsop and Adrian Croft)
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