Why EU state aid is not the right tool to fight tax avoidance

Why EU state aid is not the right tool to fight tax avoidance


Rather than pursuing companies such as Apple for what they did in the past, we should focus on shaping a fair tax system for the future

Nobody will accuse me of being lax on state aid enforcement. In 2008, when European Union member states were about to embark on a subsidy race to bail out banks hit by the financial crisis, I stated that state aid rules are part of the solution, not the problem. And while many disagreed with the application of state aid rules to bailouts, I advocated the enforcement of tough restructuring obligations for state-aided banks.

However, state aid is not a cure for all ills. Today, there is a broad sentiment that multinational companies do not pay enough taxes, that they are using mismatches between national tax laws to lower their tax burden.

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State aid is not suited to deal with such mismatches. It is a tool to address instances where a member state has made an exception to its own rules and given a specific company an advantage. To know whether that is the case, one has to understand how corporate taxation works.

International corporate tax principles dictate that companies pay taxes where value is created. In the modern world, companies create value through design, marketing and intellectual creativity. It is where those activities take place that the profits really originate.

It is therefore no surprise that US companies with research and development and intellectual property developed in the US will pay most of their taxes there, and not where the products are made or sold. Of course, the same principles apply to innovative design-focused European companies that sell their products abroad.

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EU member states have a sovereign right to determine their own tax laws. State aid cannot be used to rewrite those rules. However, the current state aid investigations into tax rulings appear to do exactly that, by suggesting a radical new approach to so-called transfer-pricing rules that determine where profits shall be allocated. By doing so, the commission risks undermining the important work carried out within the Organisation for Economic Cooperation and Development (OECD) through its Base Erosion and Profit Shifting (BEPS) project.

Read more: https://www.theguardian.com/technology/2016/sep/01/eu-state-aid-tax-avoidance-apple

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