September 24, 2019 / 8:25 AM / 2 months ago

Starbucks wins, Fiat loses in EU tax fights

LUXEMBOURG (Reuters) - Starbucks (SBUX.O) won its fight on Tuesday against an EU demand to pay up to 30 million euros ($33 million) in Dutch back taxes, while Fiat Chrysler Automobiles (FCHA.MI) lost its challenge against an order to stump up a similar amount to Luxembourg.

FILE PHOTO: A Starbucks sign is show on one of the companies stores in Los Angeles, California, U.S. October 19,2018. REUTERS/Mike Blake/File Photo

Both cases were part of European Competition Commissioner Margrethe Vestager’s crackdown on unlawful tax breaks offered by EU countries to multinationals, which has also extended to Apple’s (AAPL.O) Irish deal and Amazon’s (AMZN.O) Luxembourg deal, among others.

The judgments show that the General Court, Europe’s second-highest court, in general endorses the European Commission’s methodology in its tax crackdown but stipulates the Commission must do its homework properly to prove its case - potentially a bad omen for Apple fighting a record 13-billion-euro Irish tax order.

It is an important legal victory for the Commission, said Dimitrios Kyriazis, head of Law Faculty at New College of the Humanities London.

“Regardless of the outcome of individual cases, the General Court seems to have sanctioned the Commission’s approach,” he said.

In Starbucks’ case, the EU competition enforcer failed to show that the U.S. coffee chain benefited unfairly from the Dutch tax deal, the court said.

“The Commission was unable to demonstrate the existence of an advantage in favor of Starbucks,” judges said.

The Dutch finance ministry said the judgment showed that the multinational was treated the same as other companies.

Starbucks also welcomed the ruling, saying it had not received any special tax treatment from the Netherlands and that it “pays all of its taxes wherever they are due”.

In a separate ruling, the Court upheld the Commission’s decision against Fiat’s Luxembourg’s tax deal, saying that the Commission had applied its state aid rules correctly to assess if there was an illegal advantage and was not seeking to harmonize tax rules across the bloc, an argument cited by critics.

It also agreed with the Commission’s finding that the Luxembourg tax ruling was a selective one, meaning that such rulings were not available to all companies, a key argument used by companies ordered to pay back taxes.

Luxembourg said it would analyze the judgment and reserved all its rights. Fiat Chrysler Finance Europe said it was disappointed with the judgment and was considering its next steps, adding that the matter was not material to the group.

Vestager said the court endorsed the Commission’s approach in using state aid rules in tax cases, adding however that a more comprehensive strategy was needed to tackle tax avoidance.

“The ultimate goal that all companies pay their fair share of tax can only be achieved by a combination of efforts to make legislative changes, enforce state aid rules and a change in corporate philosophies,” she said.

The Commission in its 2015 decisions said Starbucks and Fiat Chrysler set prices for goods and services sold between subsidiaries, known as transfer prices, that were below market rates and which artificially lowered their taxes.

The losing side can appeal to the Court of Justice of the European Union on points of law.

Luxembourg, the Netherlands and Ireland are among countries whose economies have benefited from attracting multinationals. They have amended their tax regimes in recent years following the EU tax drive.

The European Commission is currently investigating Ikea AB IKEA.UL and Nike Inc’s (NKE.N) Dutch deals and Huhtamaki Oyi’s (HUH1V.HE) Luxembourg tax ruling.

The cases are T-755/15 Luxembourg v Commission and T-759/15 Fiat Chrysler Finance Europe v Commission, and T-760/15 Netherlands v Commission and T-636/16 Starbucks and Starbucks Manufacturing Emea v Commission.

Reporting by Foo Yun Chee, additional reporting by Anthony Deutsch in Amsterdam and Giulio Piovaccari in Rome; editing by Francesco Guarascio and Susan Fenton

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