<tt id="6hsgl"><pre id="6hsgl"><pre id="6hsgl"></pre></pre></tt>
          <nav id="6hsgl"><th id="6hsgl"></th></nav>
          国产免费网站看v片元遮挡,一亚洲一区二区中文字幕,波多野结衣一区二区免费视频,天天色综网,久久综合给合久久狠狠狠,男人的天堂av一二三区,午夜福利看片在线观看,亚洲中文字幕在线无码一区二区
          US EUROPE AFRICA ASIA 中文
          Business / Technology

          EU says Ireland swapped Apple tax deal for jobs

          (Agencies) Updated: 2014-10-02 06:58

          The European Union has accused Ireland of swerving international tax rules by letting Apple shelter profits worth tens of billions of dollars from revenue collectors in return for maintaining jobs.

          European Competition Commissioner Joaquin Almunia told the Dublin government in a letter published on Tuesday that tax deals agreed in 1991 and 2007 amounted to state aid and may have broken EU laws.

          "The Commission is of the opinion that through those rulings the Irish authorities confer an advantage on Apple," Almunia wrote in the letter, which was dated June 11.

          Apple said it had received no selective treatment.

          "We're subject to the same tax laws as the countless other companies who do business in Ireland," a spokesman said.

          An Irish government spokesman referred to previous statements saying it followed EU rules. When publication of the letter was flagged on Monday the Irish finance department said it was confident it had not breached state aid rules and had responded to the Commission to address "concerns and misunderstandings."

          The Commission said the tax rulings were "reverse engineered" to ensure that Apple had a minimal Irish bill, adding that minutes from meetings involving Irish officials showed that the Irish tax authority did not even attempt to apply international tax rules in its deals with Apple.

          Instead, the company's tax treatment had been "motivated by employment considerations", the Commission said, citing the minutes of meetings between Apple representatives and Irish tax officials.

          An Apple spokesman referred to previous statements where the company denied seeking any "quid pro quo" from Dublin.

          The company employs 4000 people at a manufacturing plant in Cork, south-west Ireland, its only such facility outside of the United States.

          Apple, along with other multinationals, has found its arrangements scrutinised in recent years as corporate tax avoidance rose to the top of the political agenda in the United States and Europe.

          Widespread profit shifting by tech giants was referred to by Britain's finance minister George Osborne on Monday as one of the problems his government would create new measures to tackle, and the G20 group of leading economies has also asked the OECD to review international tax rules.

          The EU is also investigating tax deals between coffee chain Starbucks Corp and the Netherlands and Luxembourg tax rulings received by a subsidiary of automotive group Fiat.

          A COMPLEX STRUCTURE

          Apple Inc licences the right to exploit Apple intellectual property in Europe, Africa and Asia to two Irish-registered subsidiaries that are not registered for tax in any country at all, a US Senate investigation revealed last year.

          A series of inter-company agreements with contract manufacturers and other Apple distribution companies ensures that tens of billions of dollars of profits flow into Apple Operations Europe (AOE) and Apple Sales International (ASI), the Senate probe found.

          The European Commission is now questioning Irish tax authority rulings which allowed AOE and ASI to declare combined annual taxable profits of just 40 to 80 million euros in recent years.

          Those arrangements save Apple - the world's most valuable corporation - billions of dollars in tax each year, analysts said.

          Under EU rules, if the Commission's suspicion that the tax treatment amounted to illegal state aid is proven, the company could be forced to pay that money back to the Irish government.

          Apple paid an average tax rate of just 2.5 percent on around $109 billion of non-US profits in the past five years - a fraction of Ireland's 12.5 percent tax rate.

          Even if the EU deemed an additional 10 percentage points in tax should have been charged in Ireland on all that money, the consequent hit of around $10 billion would scarcely dent Apple's $111 billion offshore cash pile.

          But any outcome is highly uncertain and potentially distant.

          The EU can take as much as five years to decide on state aid cases and Ireland could challenge any ruling in the European Court of Justice.

          Apple could also challenge any tax demand in court, said Neal Todd, corporate tax partner at Berwin Leighton Paisner.

          "We're in uncharted water here," Sheila Killian, Assistant Dean in Accounting & Finance at the University of Limerick, said.

          Some experts think the most likely outcome is that Ireland would simply be forced to be less accommodating with multinationals in future.

          That could limit its ability to attract international investment, although the country hopes this could be balanced by planned OECD tax changes that may handicap low tax competitors, like Singapore and Switzerland, Killian said.

          The Commission also criticised the fact that Apple and Ireland's 1991 tax agreement had lasted 16 years - far longer than the five year limit that many other EU countries apply when issuing rulings about how transactions should be treated for tax purposes.

          One function of that tax agreement was that while revenues from the sale of Apple's hot products like the iPad soared, the group's taxable profit in Ireland did not.

          An unnamed tax advisor to Apple "confessed that there was no scientific basis for the figure" that Apple would declare as its Irish taxable income, the Commission noted, from minutes of meetings between Irish tax authority officials and the advisor.

          The minutes of another meeting say that a tax advisor for the company stated it was his view that Apple was deliberately shifting profits into the lightly taxed Irish operation.

          Hot Topics

          Editor's Picks
          ...
          ...
          主站蜘蛛池模板: 青青草原网站在线观看| 国产精品一码在线播放| 国产成人综合久久亚洲av| 国产不卡精品一区二区三区| 国产精品久久蜜臀av| 国产盗摄xxxx视频xxxx| 国产成人精品亚洲高清在线 | 天堂在线最新版av观看| 高清精品视频一区二区三区| 日本一区不卡高清更新二区| 亚洲精品第一区二区三区| caoporn成人免费公开| 亚洲精品宾馆在线精品酒店| 一区二区亚洲精品国产精| 在线中文字幕国产精品| 久久婷婷丁香五月综合五| 国产乱女乱子视频在线播放| 国产精品免费视频网站| 亚洲在线一区二区三区四区| 国产精品 视频一区 二区三区| 成人AV专区精品无码国产| 精品无码国产自产拍在线观看蜜| 国产一区二区精品久久凹凸| 国产美女在线精品亚洲二区| 国产97在线 | 亚洲| 午夜欧美日韩在线视频播放 | 黑人猛精品一区二区三区| 精品亚洲欧美高清不卡高清| 无码国内精品人妻少妇| 国产成人精品国内自产色| 好看的国产精品自拍视频| 最新AV中文字幕无码专区| 亚洲无码a∨在线视频| 乱60一70归性欧老妇| 国产啪在线91| 亚洲bt欧美bt精品| 久久精品午夜视频| 亚洲av成人久久18禁| 精品国产中文字幕第一页| 日本免费精品| 精久国产一区二区三区四区|