Trump to keep Obama rule curbing
corporate tax inversion deals
Send a link to a friend
[October 05, 2017]
WASHINGTON (Reuters) - The Trump
administration will keep for now an Obama-era rule that helped halt a
wave of U.S. corporations moving abroad via tax-driven corporate
inversion deals, it said on Wednesday, but added that it expected tax
reform to obviate the rule.
President Donald Trump ordered a review almost six months ago of tax
rules from the final months of the Obama administration, including ones
to discourage companies from redomiciling abroad for tax reasons.
"Treasury plans to retain the distribution requirements under Section
385 pending enactment of tax reform," the department said in a
statement, adding "these regulations are necessary to safeguard against
earnings stripping."
It also said it planned to revoke and streamline some related
documentation rules.
A 2011-2015 wave of inversion deals prompted Treasury to take a series
of actions that culminated in an April 2016 rule release and the
collapse of a $160-billion deal between U.S. drugmaker Pfizer Inc
<PFE.N> and Ireland’s Allergan Plc <AGN.N>, which would have been the
largest inversion ever.
Tax inversions occur when a U.S. company is acquired by a smaller
foreign business from a low-tax country and adopts its domicile to
reduce the combined firm’s overall U.S. tax burden.
The Section 385 rule was part of Obama's anti-inversion effort and was
finalized a year ago. It was meant to combat a corporate tax-reduction
technique known as earnings stripping.
Earnings stripping occurs when the U.S. subsidiary of a newly inverted
company loads up on debt and avoids taxes on its domestic profits by
sending them overseas to the foreign parent in the form of
tax-deductible interest payments.
[to top of second column] |
President Donald Trump and first lady Melania Trump board Air Force
One as they depart Joint Base Andrews in Maryland, U.S., on their
way to Las Vegas, October 4, 2017. REUTERS/Kevin Lamarque
The Obama rule reclassified some forms of debt as equity, changing
tax-exempt interest payments into taxable dividends and making
earnings stripping strategies more difficult to pursue.
The Organization for International Investment (OFII), a Washington
lobbying group for foreign-based companies with U.S. operations,
praised the documentation portion of Treasury's latest move and
criticized the retention of the rest of the Section 385 rule.
"Unfortunately, in perpetuating an unsubstantiated premise of the
Obama administration, Treasury has decided to keep part of these
discriminatory regulations," the group said.
Companies that have inverted, OFII said in a statement, "are not
overleveraged, their debt levels have remained largely flat and
their interest expense has declined while their investments into
America’s economy have grown."
The Treasury Department said it expected a Republican proposal to
overhaul the tax code would eliminate the need for anti-inversion
rules. The proposal would sharply cut the corporate tax rate and end
taxation of multinationals' foreign profits.
(Writing by Kevin Drawbaugh; Editing by Susan Thomas)
[© 2017 Thomson Reuters. All rights
reserved.]
Copyright 2017 Reuters. All rights reserved. This material may not be published,
broadcast, rewritten or redistributed. |