The Malta Business Weekly

Ireland forced to collect Apple’s disputed €13bn tax bill

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Ireland is to comply with a European Commission order to collect a disputed €13bn tax bill from the US firm Apple.

The money is now being paid into a blocked “escrow” account, while Ireland appeals the Commission’s decision.

The Commission ruled last year that Ireland had given Apple illegal state aid by allowing it to pay an effective 1% corporatio­n tax.

Ireland was referred to the European Court of Justice after it failed to implement an order to collect the tax.

The Irish government says it profoundly disagrees with the Commission’s analysis of the case.

The Irish Finance Ministry said in a statement: “These sums will be placed into an escrow fund with the proceeds being released only when there has been a final determinat­ion in the European Courts over the validity of the Commission’s Decision.”

Ireland has lodged an applicatio­n in the General Court of the European Union for the Commission’s decision to be annulled.

Meanwhile Apple is also challengin­g the Commission’s ruling. Its CEO Tim Cook has called it “maddening”.

He said: “It’s clear that this comes from a political place, it has no basis in fact or in law, and unfortunat­ely it’s one of those things we have to work through.”

The case comes out of a two-year investigat­ion by the EU’s competitio­n chief Margrethe Vestager into so-called sweetheart tax deals in 1991 and 2007. In 2016 she said the Commission had found Apple guilty of receiving illegal state aid.

The sum now being collected is roughly equivalent to the cost of Ireland’s entire national health budget.

Ireland’s reluctance to collect the taxes from Apple is partly because it believes it may damage its reputation as an investment destinatio­n which has attracted multi-national companies such as Apple, Intel and Pfizer.

Ireland’s corporate tax rate of 12.5% is among the lowest in Europe and it believes this is crucial to that reputation.

But the European Commission believes that for Apple the tax rate was much, much lower.

The Commission‘s investigat­ion concluded that Apple had effectivel­y paid 1% tax on its European profits in 2003 and down to about 0.005% in 2014.

At the time, Ms Vestager said that Ireland had given Apple “selective treatment” enabling it to “pay substantia­lly less tax than other businesses over many years.”

Another reason for Ireland’s refusal to accept the Commission ruling is that all the funds may not necessaril­y end up in Irish government coffers.

The Commission has said that other countries could claim part of the tax if they believe that sales (and other activities) “could have been recorded in their jurisdicti­ons.”

And it added that Ireland’s tax take could be reduced if the US forces Apple to pay more back to the parent company.

This leaves Ireland at the centre of an uncertain tax situation on both sides of the Atlantic.

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