U.S. pharmaceutical giant Pfizer Inc. and Ireland-based Allergan announced Wednesday morning that they are scrapping the proposed $160 billion merger that would have allowed Pfizer to dodge millions in U.S. taxes.
According to Reuters,
"Pfizer said the decision was driven by new U.S. Treasury rules aimed at
curbing such deals, called inversions."
Democratic
presidential hopeful Bernie Sanders, who had called for the Treasury Department
to crack down on such tax-evasion practices, heralded the news on Twitter:
Treasury’s new rules have put profitable corporations on notice that their
greed will not be allowed to continue. https://t.co/5Q5o8WaLk4
— Bernie Sanders (@SenSanders) April 5, 2016
Earlier...
Issuing what
some called a death blow to the proposed $160
billion merger between pharmaceutical giants Pfizer
and Allergan, the U.S. Treasury Department late Monday proposed new tax
regulations aimed at cracking down on so-called corporate
inversions.
Corporate inversions allow U.S. businesses to avoid paying U.S.
taxes by claiming foreign
citizenship.
The merger between Viagra-maker Pfizer Inc. and Allergan PLC, which manufactures Botox, would have been "the largest inversion ever," according to the Wall Street Journal, allowing Pfizer to profit from a lower corporate tax rate in Allergan's home country of Ireland.
The merger between Viagra-maker Pfizer Inc. and Allergan PLC, which manufactures Botox, would have been "the largest inversion ever," according to the Wall Street Journal, allowing Pfizer to profit from a lower corporate tax rate in Allergan's home country of Ireland.
"If our analysis is correct, this is a major victory for taxpayers who pay their fair share and who should expect no less from one of America’s biggest and most profitable corporations." —Frank Clemente, Americans for Tax Fairness
But the rules proposed Monday by the Treasury Department "would negate the benefits of these
inversions, putting Pfizer's acquisition of Allergan at risk," Reuters reported.
Indeed,
the watchdog group Americans for Tax Fairness agreed, "it
appears that the Treasury Department has issued a rule with respect to serial
inverters, such as Allergan, that will wipe out the expected tax breaks Pfizer
was counting on."
"If our
analysis is correct, this is a major victory for taxpayers who pay their fair
share and who should expect no less from one of America’s biggest and most
profitable corporations," said the group's executive director, Frank
Clemente.
As the Wall Street Journal explains,
the new regulations seek to "make it harder for companies to make the
arithmetic on inversions add up," while also hampering "the
post-inversion maneuvers companies can use to lower their U.S. taxes."
To do so, the Journal explains:
First, they go after what they call
“serial inverters,” companies that have engaged in multiple inversion
transactions. The rules would disregard three years of past mergers with U.S.
corporations in determining the size of the foreign company. By subtracting the
value of U.S. assets a foreign company had acquired, the foreign company would
become smaller in relation to the U.S. company.
Additionally,
the Journal reports:
The government issued regulations
against what’s known as earnings stripping, a kind of transaction that
typically occurs after an inversion. Companies can lend money from their
foreign headquarters to what is now the U.S. subsidiary in a transaction that
has no effect on the consolidated company’s books. But it matters for tax
purposes, because the U.S. subsidiary gets interest deductions against the
world-high 35% U.S. corporate tax rate, effectively pushing income to a country
with a lower tax rate. The rules would give the government more authority to
treat those debt transactions as equity movements under the tax code.
On Tuesday,
advocacy organization Citizens for Tax Justice (CTJ) noted "growing
public outrage over lax tax laws" and said the "new regulations
partly address that by reducing the tax payoff from convoluted transaction
known as 'earnings stripping.'"
"While the
regulations may not stop the pending Pfizer inversion, they may put a damper on
the company's assumed plans to avoid taxes on $40 billion in untaxed profits
that it has shifted into tax havens," said CTJ director Robert S.
McIntyre.
"But the
Treasury Department can and should take further action," McIntyre
continued. "For example, it should use its authority [pdf]
to further limit the ability of expatriating companies to use 'hopscotch loans'
to get around the current, weak curbs on inversions."
"Sadly, rather than pass more targeted fixes to corporate inversion, a Republican-led Congress has decided to sit on its hands as multinational corporations avoid more and more taxes, eroding the corporate tax base, and shifting the burden of taxation onto domestic companies and American workers." —Hunter Blair, Economic Policy Institute
Still, to really
rein in corporate tax dodgers will require action by Congress.
"The
Treasury’s regulatory actions continue to provide temporary fixes, which will
help reduce the short-term erosion of the U.S. corporate tax base,"
Economic Policy Institute analyst Hunter Blair wrote in a blog post Tuesday.
"But regulatory authority can only go so far, and legislative action is
necessary to fully stop this type of corporate tax evasion."
As Lew himself said Monday
on a conference call with reporters: "Only new anti-inversion legislation
can stop these transactions. Until that time, creative accountants and lawyers
will continue to seek new ways for companies to move their tax residences
overseas and avoid paying taxes here at home."
However, Blair
said, "Sadly, rather than pass more targeted fixes to corporate inversion,
a Republican-led Congress has decided to sit on its hands as multinational
corporations avoid more and more taxes, eroding the corporate tax base, and
shifting the burden of taxation onto domestic companies and American
workers."
CTJ's McIntyre
concurred. "Even if Treasury further cracks down on U.S. companies that
claim foreign residency for tax purposes, congressional action remains
necessary to put a full stop to corporation inversions," he said.
"Congressional leaders should stop coddling corporate deserters and enact
anti-inversion reforms such as the Stop Corporate Inversions Act."
That
legislation, CTJ explained in
a blog post last month, would no longer allow a newly merged company to claim
to be foreign if it continues to be managed and controlled in the United States
or if the new parent company is more than 50 percent owned by the shareholders
of the original American company.