Category: Jurisdiction

EU investigates tax rulings on Apple, Starbucks, Fiat

Reuters) – The European Commission raised pressure on Ireland, the Netherlands and Luxembourg over their corporate tax practices, saying it was investigating deals the countries have cut with Apple, Starbucks and Fiat. The EU is looking at whether the countries’ tax treatment of multinationals, which help to attract investment and… – Continue reading

European Commission to investigate Apple’s Ireland tax haven – report

Additional details on the allegedly impending investigation from the European Commission were not shared by the initial source, Ireland’s RTE, according to Reuters. A formal announcement of the investigation is expected to follow.It’s already been established through other investigations that Apple has not broken any laws in utilizing Ireland as a tax haven,… – Continue reading

EC to Investigate Apple’s (AAPL) Ireland Tax Haven: Report

Irish state broadcaster RTE reports that the European Commission had decided to launch a formal investigation into Apple (AAPL)’s tax arrangements in Ireland. An announcement is expected by EU’s Competition Commissioner to follow: “The European Commission is to open a formal investigation into Apple’s tax arrangements with Ireland. An announcement is expected to… – Continue reading

Europe opens tax probe into Apple in Ireland

The probe, announced on Wednesday by Europe’s competition commissioner Joaquín Almunia, will look into whether the low rate of tax Apple pays in Ireland breaks European state aid rules.   Apple pays less than two percent tax in the country — far less than the standard 12.5 percent corporation tax… – Continue reading

Italian Supreme Court ruling maintains arm’s-length principle must apply to related companies within Italy

The Italian Supreme Court ruled, on April 16, that all transactions carried out between companies belonging to the same Group, and all of which have offices in Italy, are subject to the arm’s length principle. Ruling No. 8869 confirmed once more the Supreme Court’s position already expressed through Ruling No…. – Continue reading

Cyprus: New Cyprus-UAE Double Tax Agreement Takes Effect

New agreement The new double tax agreement between Cyprus and the United Arab Emirates took effect from January 1 2014. For the most part, the agreement reproduces the corresponding provisions of the latest Organisation for Economic Cooperation and Development (OECD) Model Tax Convention verbatim. The principal departures from the OECD… – Continue reading

More big businesses set up firms in offshore tax havens

More South Korean conglomerates have been registering subsidiaries in offshore tax havens, according to corporate researcher Chaebul.com. The number of South Korean companies established in the top 10 offshore tax havens last year jumped nearly 60 percent on-year from 54 to 86, indicating more conglomerates taking advantage of lower tax… – Continue reading

Cyprus: New Double Tax Treaty Between Cyprus And Spain Soon To Enter Into Force

With the impending FATCA compliance rollout and the U.S. Justice Department deal for Swiss banks, there are lots of letters and phone calls being made to account holders with American indicia. American citizens, residents—even people with a U.S. address or phone number—should be prepared. Possible American status means proving you’re… – Continue reading

Cyprus: New Double Tax Treaty Between Cyprus And Spain Soon To Enter Into Force

Following the ratification of the double tax treaty (“DTT”) between Cyprus and Spain on March 22nd, the new treaty will come into force three months after the exchange of official notifications and upon completion of the official exchange of the ratified documents between the governments of Spain and Cyprus. Accordingly,… – Continue reading

Illinois parts-maker fights U.S. IRS over cross-border tax deal

The U.S. Internal Revenue Service and manufacturer Illinois Tool Works Inc. are battling in U.S. Tax Court over a $356.8 million dispute that highlights a type of cross-border tax avoidance strategy facing increased scrutiny worldwide. As governments crack down on tax-driven profit-shifting, the IRS is asserting that a loan used… – Continue reading

Levin-backed legislation aims to curb pace of companies moving offshore for lower taxes

While Perrigo Co. plc has already cut its tax burden by moving offshore in the $8.6 billion blockbuster deal with Irish pharmaceutical maker Elan Corp. that it says will allow it to expand globally, other U.S. corporations could have a hard time pulling off similar deals. New federal legislation aims to change… – Continue reading

Revised tax treaty aiming to get official access to Swiss bank accounts

Treasury is taking submissions on a revised tax treaty with Switzerland, which will lead to Swiss banks handing over secretive bank account information to Australian authorities on request. The new treaty means Australian tax evaders with undisclosed Swiss bank accounts will now rely on limited bank secrecy protection from the… – Continue reading

Your bank will send US transactions info to US tax authorities from July 1

All financial institutions in the UAE must comply with the agreement signed with the US Financial institutions in the UAE will start sharing extensive data of account holders with a US nationality from July 1st with the Internal Revenue Services (IRS), or the American tax collecting authority. On May 23rd… – Continue reading

Report: Bank Leumi to pay NIS 1 billion fine to US over tax evasion suspicion

Bank Leumi, one of Israel’s largest financial institutions, will pay a billion-shekel fine to US authorities for suspected tax evasion, Channel 2 reported on Sunday. Related: Israel agrees to turn American’s bank accounts over to IRS According to a US-led investigation, the bank’s American branches made illegal transactions to clients’… – Continue reading

TRA starts to apply refined rules in cross-border transactions

The Tanzania Revenue Authority (TRA) has set up new tax determination guidelines aimed at providing consistency in tax administration on both domestic and cross-border transactions.The new system –“Transfer Pricing Regulation” will also provide taxpayers with insights on the procedures followed in determination of income tax, duty and levies in various… – Continue reading

NZ’s independence not for sale, says Internet Party

The Trans-Pacific Partnership Agreement, Five Eyes intelligence sharing and the American Foreign Account Tax Compliance Act have put New Zealand’s sovereignty and independence at risk and must be immediately reviewed, says the Internet Party. In its draft Independence policy released today, the Internet Party said New Zealand’s sovereignty was being… – Continue reading

Study: 70% of Fortune 500 Companies, of Which 5 are Wisconsin-Based, Used Tax Havens in 2013

Madison, June 5 – Tax loopholes encouraged more than 70 percent of Fortune 500 companies – includingJohnson Controls, Rockwell Automation and Manpower here in Wisconsin – to maintain subsidiaries in offshore tax havens as of 2013, according to “Offshore Shell Games,” released today by WISPIRG Foundation and Citizens for Tax Justice. Collectively, the companies reported booking… – Continue reading

Russia’s No. 2 Bank VTB to Stop Servicing Russia-Based U.S. Clients

VTB, Russian’s second-largest banking group, will cease service to Russia-based U.S. clients to avoid falling foul of FATCA, a U.S. tax avoidance law that comes into force on July 1. Even at this late stage, Russian law and FATCA are incompatible — Russian banks will be able to comply with U.S. law or Russian law, but not both, the head of the… – Continue reading

Report: CT Loses $600M In Tax Revenue When Corporations Shift Profits

Seventy two percent of Fortune 500 companies avoid approximately $90 billion in taxes by booking profits to subsidiaries registered in offshore tax havens, according to a report from the ConnPIRG Education Fund and Citizens for Tax Justice. Each year, offshore tax loopholes used by U.S. multinational corporations cost Connecticut $600 million in… – Continue reading

Americans must pay taxes on bank accounts in Israel

United States citizens who have accounts or financial assets in Israel soon will have even more incentive than previously to disclose them to the Internal Revenue Service (IRS). The Foreign Account Tax Compliance Act (FATCA), which takes effect July 1 in Israel, is meant to combat tax evasion and fraud… – Continue reading