U.S. tax agency investigates Facebook's
Ireland asset transfer
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[July 08, 2016]
By Nate Raymond and Tom Bergin
(Reuters) - The U.S. Internal Revenue
Service (IRS) said Facebook Inc <FB.O> may have understated the value of
intellectual property it transferred to Ireland by "billions of
dollars", unfairly cutting its tax bill in the process, according to
court papers.
The U.S. Justice Department filed a lawsuit on Wednesday in
federal court in San Francisco seeking to enforce IRS summonses
served on Facebook and to force the world's largest social network
to produce various documents as part of the probe.
The tax authority is examining whether Facebook understated its U.S.
income by selling rights to an Irish subsidiary too cheaply.
Doing so could boost taxable profits in Ireland, which has a
corporate tax rate of 12.5 percent, and reduce taxable income in the
United States which has a rate of at least 35 percent.
Facebook denied any wrongdoing.
"Facebook complies with all applicable rules and regulations in the
countries where we operate," Anteneh Daniel, a spokesperson for the
company, said in a statement.
The complex tax structuring used by big technology companies such as
Google <GOOGL.O> and Amazon <AMZN.O> has prompted governments in
recent years to launch a program to rewrite tax rules so that
inter-group deals that shift profits into tax havens are no longer
possible.
 The lawsuit said that in 2010 Facebook Inc sold the rights to
exploit the Facebook platform outside the United States and Canada
to Facebook Ireland Holdings.
The price used for the intangible property was determined by
Facebook's tax adviser Ernst & Young (E&Y).
"The IRS examination team's preliminary positions suggested that the
E&Y valuations of the transferred intangibles were understated by
billions of dollars," the lawsuit said.
E&Y was not immediately available for comment.
COMPLEX WEB
Facebook Ireland Holdings in turn leased the rights to exploit the
Facebook platform to its own subsidiary, Facebook Ireland Ltd, in
return for a fee, accounts for Facebook Ireland Ltd, filed with the
Irish company registry, show.
Facebook Ireland Ltd. is Facebook's main international business
unit, reaping sales of 4.8 billion euros ($5.3 billion) in 2014, the
last year for which accounts are available.
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Facebook CEO Mark Zuckerberg is seen on stage during a town hall at
Facebook's headquarters in Menlo Park, California September 27,
2015. Picture taken February 27, 2015. REUTERS/Stephen Lam/File
Photo
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Facebook Inc in the United States could have licensed its
intellectual property directly to Facebook Ireland Ltd but then it
would have to report that income in the United States and pay tax
there.
It does have to pay tax on the money it received from intermediary
Facebook Ireland Holdings.
Moreover, if Facebook Ireland Holdings paid less for the rights than
it charges Facebook Ireland Ltd., this margin allows profit to be
built up in the lower tax jurisdiction.
U.S. technology companies sometimes don't even have to pay the 12.5
percent Irish corporate tax rate.
They frequently take advantage of a quirk of Irish tax law which
allows companies to designate an Irish registered company as being
tax resident elsewhere -- an arrangement tax professionals have
termed a "double Irish".
This involves the rights-holding company being designated as tax
resident in a tax haven. However, since the companies concerned are
Irish-registered, the transactions don't trigger a U.S. tax bill.
Facebook declined to say where Facebook Ireland Holdings was tax
resident. It is an unlimited company, which means it doesn't have to
file accounts so there are no public documents on its status.
Unlimited companies are unusual structures in Ireland but U.S.
multinationals frequently establish these as part of their tax
structuring.
(Reporting by Nate Raymond in New York and Tom Bergin in London;
Editing by Richard Chang and Keith Weir)
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