By Tom Fairless
BRUSSELS--Around 35 multinationals including brewer
Anheuser-Busch InBev NV will be required to pay around EUR700
million ($764.50 million) in additional taxes in Belgium after
European Union regulators ruled they had benefited from an illegal
tax break.
The decision by the European Commission, the bloc's top
antitrust regulator, is the latest step in a high-profile inquiry
into alleged unfair tax deals that has already ensnared at least
four U.S. multinationals, including Apple Inc., Amazon.com Inc.,
McDonald's Corp. and Starbucks Corp.
It comes at a sensitive time for Belgium-based AB InBev, which
is in the middle of a complicated $108 billion deal to buy the
world's second-largest brewer, SAB Miller PLC of London.
Other multinationals that now face back-tax demands in Belgium
include BP PLC, German chemicals giant BASF SE and Pfizer Corp.,
said a person familiar with the case.
The commission said Monday that a Belgian tax-discount plan
available only to certain multinational groups "represents a very
serious distortion of competition within the EU's single market,"
and ordered Belgium to recover the unpaid taxes.
At a news conference, EU antitrust chief Margethe Vestager said
the scheme had given "carte blanche to double non-taxation" of
certain multinationals in Belgium. She declined to name the
companies affected.
But a person familiar with the matter said the largest
beneficiaries of the Belgian scheme--and therefore those likely to
face the biggest back-tax demands--were AB InBev, Swedish
industrial company Atlas Copco, BP, BASF, Belgian telecom operator
Belgacom, now known as Proximus Group, French retailer Celio and
vehicle-component manufacturer Wabco.
AB InBev confirmed in a statement that it benefits from the type
of Belgian tax ruling that was judged illegal by regulators in
Brussels.
The company said it was disappointed by the EU's decision and
was confident that its tax rulings are in full compliance with EU
law, and that it has always complied with Belgian and international
tax provisions.
"We will consider our options, taking into account the reactions
by the Belgian authorities," the company said--leaving the door
open to an appeal with the EU's top courts in Luxembourg.
The other companies didn't immediately respond to requests for
comment.
Belgian Finance Minister Johan Van Overtveldt warned that the
EU's decision, if implemented, would have considerable consequences
for the companies concerned, and that the reimbursement itself
would be particularly complex. The tax scheme has been in place
since 2005.
Belgian authorities will hold further negotiations with EU
regulators, and the government doesn't rule out lodging an appeal
with the bloc's top courts in Luxembourg, depending on the outcome
of the talks, Mr. Van Overtveldt said.
Tax experts said multinationals might reconsider basing
themselves in Belgium as a result of the EU's ruling. Companies
might look instead at London, the Netherlands or Luxembourg, which
have lower headline corporate tax rates than Belgium's 34%, said
Geert De Neef, a Brussels-based partner with international tax
consultancy Taxand.
"Then you don't need special tricks, you know it is acceptable
for the European Commission," Mr. De Neef said.
The EU's widening tax inquiry has also drawn criticism from the
U.S. government over its apparent disproportionate targeting of
American companies, which have been targeted with four separate
probes.
Responding directly to such criticism on Monday, Ms. Vestager
said the latest ruling would affect mainly European multinationals.
Of the EUR700 million in back taxes to be repaid, EUR500 million
would come from European companies, she said.
"I of course hear the criticism that this is about U.S.
companies, which it is obviously not," Ms. Vestager said. "What we
are interested in is fair competition."
The latest case centers on a provision in Belgian law that
allows companies to deduct so-called excess profits from their tax
bills--profits that allegedly result from the advantage of being
part of a multinational group.
EU regulators argue that the scheme allowed multinationals to
avoid paying tax on those profits anywhere in the world, and
reduced the corporate tax base of the affected companies by between
50% and 90%.
The multinationals that benefited are from a large variety of
sectors, but are generally involved in producing goods, Ms.
Vestager said.
The tax probes are a top political priority for European policy
makers, who are under pressure to show that the biggest companies
are paying their fair share during an age of austerity. But tax
experts complain that the inquiry may have repercussions for
investment in Europe because it risks overturning thousands of
long-established corporate tax structures.
EU regulators have so far closed two probes, into Starbucks's
tax affairs in the Netherlands and Fiat Chrysler Automobiles NV's
in Luxembourg. The EU ruled in October that both companies had
benefited from illegal tax deals and ordered the governments to
reclaim between EUR20 million and EUR30 million from each company.
Both decisions are expected to be appealed at the EU's courts in
Luxembourg, a process that can take years.
All of the governments involved have denied giving special
treatment, and the companies have denied receiving it.
Write to Tom Fairless at tom.fairless@wsj.com
(END) Dow Jones Newswires
January 11, 2016 10:06 ET (15:06 GMT)
Copyright (c) 2016 Dow Jones & Company, Inc.
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