Apple, the top US computer and smart phone manufacturer, used a complex web of offshore entities to avoid billions in taxes, a Senate panel has alleged.
The electronics giant's rootless subsidiaries had just one purpose: to funnel much of the company's global profits and dodge billions of dollars in US tax obligations, according to the report by the Permanent Subcommittee on Investigations.
One of Apple's Irish affiliates reported profits of USD 30 billion between 2009 and 2012, but because it did not technically belong to any country, it paid no taxes to any government. Another paid a tax rate of 0.05 per cent in 2011 on USD 22 billion in earnings, according to the report.
The panel said that Apple exploited the gap between the two nations, the US and Ireland, through three of its subsidiaries the company claims are not tax resident in any nation, to avoid paying taxes.
"Exploiting the gap between the two nations' tax laws, Apple Operations International has not filed an income tax return in either country, or any other country, for the past five years. From 2009 to 2012, it reported income totalling USD 30 billion," the Senate panel said.
The report found Apple's three subsidiaries had no official tax residence, which made them pay little or no taxes.
"Apple's claim that three key offshore companies are not tax residents of Ireland, where they are incorporated, or of the United States, where Apple executives manage and control the companies. One of those Irish subsidiaries has paid no income taxes to any national tax authority for the past five years," it said.
"Apple wasn't satisfied with shifting its profits to a low-tax offshore tax haven. Apple sought the Holy Grail of tax avoidance," Senator Carl Levin said.
"It has created offshore entities holding tens of billions of dollars, while claiming to be tax resident nowhere," he alleged.
The bipartisan Senate panel alleged in its report that Apple is using a so-called cost sharing agreement to transfer valuable intellectual property assets offshore and shift the resulting profits to a tax haven jurisdiction.
It alleged that Apple is taking advantage of weaknesses and loopholes in tax law and regulations to "disregard" offshore subsidiaries for tax purposes, shielding billions of
dollars in income that could otherwise be taxable in the US.
The Senate panel alleged that Apple is negotiating a tax rate of less than two per cent with