Deutsche Bank to pay $95
million to end U.S. tax fraud case
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[January 05, 2017]
By Nate Raymond and Jonathan Stempel
NEW
YORK (Reuters) - Deutsche Bank AG agreed to pay $95 million to
resolve a U.S. government lawsuit accusing the German bank of tax fraud
for using "insolvent" shell companies to hide significant tax
liabilities from the Internal Revenue Service in 2000.
Under the accord described in papers filed on Wednesday with the federal
court in Manhattan, Deutsche Bank also admitted to trying to stick the
shell companies with the tax bill for its then-new stake in drugmaker
Bristol-Myers Squibb Co <BMY.N>.
The settlement resolves a lawsuit filed in December 2014 that had sought
to recoup more than $190 million in taxes, penalties and interest.
"The government, through this action and settlement, has made Deutsche
Bank admit to its actions designed to avoid taxes," U.S. Attorney Preet
Bharara in Manhattan said in a statement.
Deutsche Bank spokeswoman Amanda Williams said in a statement: "We are
pleased to resolve this claim and put these events from more than 16
years ago behind us."
The settlement marks the latest step in Deutsche Bank's bid to resolve
legal matters that in recent months caused investors to worry about its
future, and whether it had enough capital.
Last month, Deutsche Bank reached a $7.2 billion settlement in principle
to resolve a U.S. probe of its sale of toxic mortgage securities.
The tax case arose from Deutsche Bank's early 2000 acquisition of
Charter Corp, which had been sitting on a large unrealized gain in
Bristol-Myers.
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The headquarters of Germany's Deutsche Bank is seen in Frankfurt,
Germany, January 26, 2016. REUTERS/Kai Pfaffenbach/File Photo
According to settlement papers, the bank in May 2000 sold Charter to the
shell companies, which then liquidated Charter and sold the
Bristol-Myers shares back to the bank, triggering a more than $52
million tax liability.
But the shell companies lacked the funds to pay the taxes, and Deutsche
Bank admitted that it knew or should have known this was the case, the
papers said.
"Deutsche Bank engaged in the May 2000 transaction in order to avoid
having to pay the built-in tax liability," the papers said.
The case is U.S. v Deutsche Bank AG et al, U.S. District Court, Southern
District of New York, No. 14-09669.
(Reporting by Nate Raymond and Jonathan Stempel; in New York; Editing by
David Gregorio and Dan Grebler)
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