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Polarized Oakley Apple's Cook faces Senate questio
WASHINGTON - A Senate panel says Apple Inc. is avoiding billions of dollars in U.S. taxes Apple CEO Tim Cook is explaining the company s tax strategy to the Senate Permanent Subcommittee on Investigations,?mod=viewthread&tid=1798546&pid=1960770&page=1&extra=page=1#pid1960770, which released a detailed report Monday on the company s practices.
The world s most valuable company says it complies with the laws and pays "an extraordinary amount" in U.S. taxes,
Sen. Carl Levin, D-Mich., the panel s chairman, says Apple s use of loopholes in the U.S. tax code is unique among multinational corporations.
"Apple is exploiting an absurdity,Polarized Oakley," Levin said at the start of the hearing.
The tone of the hearing turned tense before the Apple executives appeared, as Sen. Rand Paul,Foakleys, R-Ky., an anti-tax hawk who reflects tea party sentiment, insisted that the subcommittee apologize to Apple for unfair scapegoating.
"If anyone should be on trial here it should be Congress ... for creating a bizarre and Levin countered angrily that no such apology would be forthcoming. "Apple s a great company, but no company should be able to determine how much it s going to pay in taxes ..... The spotlight on Apple s tax strategy comes at a time of fevered debate in Washington over whether and how to raise revenues to help reduce the federal deficit. Many Democrats complain that the government is missing out on billions of dollars because companies are stashing profits abroad and avoiding taxes. Republicans want to cut the corporate tax rate of 35 percent and ease the tax burden on money that U.S. companies make abroad. They say the move would encourage companies to invest at home.
Cook and the other Apple executives are expected to face tough questions. Levin and other panel members could hold up Apple as an example of a powerful company using its privileged position to avoid taxes while ordinary Americans must pay them. The subcommittee last fall derided executives from other technology giants over similar allegations,Oakley Sunglasses Hut.
Apple is holding overseas some $102 billion of its $145 billion in cash,Ray Bans, according to the subcommittee s report.
Apple s strategies are legal, and many other multinational corporations use similar tax techniques to avoid paying U.S. taxes on profits they reap overseas. But Apple uses a unique twist, the report found. The company s tactics raise questions about loopholes in the U.S. tax code, lawmakers say.
Apple rebutted the subcommittee s assertions in testimony prepared for the hearing. Apple said it employs tens of thousands of Americans and pays "an extraordinary amount" in U.S. taxes, citing the roughly $6 billion it paid in fiscal 2012.
Apple "complies fully with both the laws and the spirit of the laws," the testimony says. "And Apple pays all its required taxes,Polarized Oakley, both in this country and abroad."
"Apple does not use tax gimmicks," the statement says.
The company s testimony points to its Irish subsidiaries being used chiefly to reducing its foreign tax liabilities. It avoids U.S. taxes chiefly The company has made clear that given current U.S. tax rates, it has no intention of repatriating its overseas profits to the U.S. Apple reiterated in its testimony its support for comprehensive tax reform as a way to support economic growth and boost U.S. companies competitiveness.
The subcommittee also has examined the tax strategies of Microsoft Corp.,Oakley Fuel Cell, Hewlett-Packard Co. and other multinational companies, finding that they too have avoided billions in U.S. taxes The subcommittee s report estimates that Apple avoided at least $3.5 billion in U.S. federal taxes in 2011 and $9 billion in 2012 Apple uses five companies located in Ireland to carry out its tax strategy, according to the report. The companies are located at the same address in Cork, Ireland, and they share members of their boards of directors. While all five companies were incorporated in Ireland, only two of them also have tax residency in that country. That means the other three aren t legally required to pay taxes in Ireland because they aren t managed or controlled in that country, in Apple s view.
The report says Apple capitalizes on a difference between U.S. and Irish rules regarding tax residency. In Ireland, a company must be managed and controlled in the country to be a tax resident. Under U.S. law, a company is a tax resident of the country in which it was established. Therefore, the Apple companies aren t tax residents of Ireland nor of the U.S., since they weren t incorporated in the U.S., in Apple s view.
The subcommittee said Apple s strategy of not declaring tax residency in any country could be unique among corporations.
Levin and Sen. John McCain of Arizona, the subcommittee s senior Republican, are proposing legislation to close loopholes in the tax code. |
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