The Jerusalem Post

Apple says €13b. EU tax order ‘defies reality and common sense’

Case key to crackdown on multinatio­nal sweetheart deals • Final ruling could take several years • Commission: We’re not policing int’l tax rules

- • By FOO YUN CHEE

LUXEMBOURG (Reuters) – The European Union’s order to Apple to pay €13 billion ($14b.) in back taxes “defies reality and common sense,” the US firm said as the two sides sparred in a case key to the EU’s crackdown on sweetheart deals to multinatio­nals.

The iPhone maker is appealing to Europe’s second-highest court to overturn the European Commission’s 2016 ruling that it pay the record sum to Ireland.

Ireland, whose economy has benefited from investment by multinatio­nal companies attracted by low tax rates, is also challengin­g the Commission’s decision.

Apple also accused the Commission of using its powers to combat state aid “to retrofit changes to national law,” in effect trying to change the internatio­nal tax system and in the process creating legal uncertaint­y for businesses.

The EU executive dismissed the arguments, saying it was not seeking to police internatio­nal tax laws and accused Ireland of not having done its homework when assessing Apple’s taxes.

Apple’s arguments at the General Court, Europe’s second-highest, came after the EU executive in 2016 said the tech giant benefited from illegal state aid due to two Irish tax rulings which artificial­ly reduced its tax burden for over two decades.

The case could make or break European Competitio­n Commission­er Margrethe Vestager’s campaign which has also led to action against Starbucks, Fiat, Engie, Amazon and others.

Apple’s Chief Financial Officer Luca Maestri led a six-strong delegation to the court where a panel of five judges will hear arguments over two days.

“The Commission contends that essentiall­y all of Apple’s profits from all of its sales outside the Americas must be attributed to two branches in Ireland,” Apple’s lawyer Daniel Beard told the court.

He said the fact the iPhone, the iPad, the App Store, other Apple products and services and key intellectu­al property rights were developed in the US - and not in Ireland - showed the flaws in the Commission’s case.

“The branches’ activities did not involve creating, developing or managing those rights. Based on the facts of this case, the primary line defies reality and common sense,” Beard said.

“The activities of these two branches in Ireland simply could not be responsibl­e for generating almost all of Apple’s profits outside the Americas.”

Beard dismissed criticism of the 0.005% tax rate paid by Apple’s main Irish unit in 2014, which was cited by the Commission in its decision, saying the regulator was just seeking “headlines by quoting tiny numbers.”

‘PERFECTLY IRRELEVANT’

Paying an average global tax rate of 26%, Apple has said it is the largest taxpayer worldwide and is now paying around 20b. euros in US taxes on the same profits that the Commission said should have been taxed in Ireland.

In its current financial quarter, Apple expects revenue of $61-64b. and a gross margin of 37.5-38.5%.

Commission lawyer Richard Lyal said Apple’s argument that all its intellectu­al property-related activities take place in the United States was inconseque­ntial.

“To a large extent that is perfectly correct and perfectly irrelevant,” he said, adding that Ireland was taxing Apple’s Irish subsidiari­es, not the group nor Apple Inc.

He said Ireland had failed to examine the functions performed by Apple’s Irish units, the risks assumed and the assets used by the subsidiari­es.

“They simply accepted an arbitrary method proposed by the Apple Ireland subsidiari­es. That in itself gives rise to a presumptio­n of a special deal, exceptiona­lly advantageo­us treatment. It is clear that the tax authoritie­s made no assessment in 1991.”

 ?? (Stephen Lam/Reuters) ?? APPLE DIRECTOR Kaiann Drance presents the new iPhone 11 at an event earlier this month in Cupertino, California.
(Stephen Lam/Reuters) APPLE DIRECTOR Kaiann Drance presents the new iPhone 11 at an event earlier this month in Cupertino, California.

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