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McDonald's may be next on EU's menu of tax cases

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McDonalds Fresh Idea

FILE - This Sunday, Jan. 10, 2016, photo shows the sign at the McDonald's restaurant on 42nd Street near Times Square in New York. McDonald's says it will swap frozen beef patties for fresh ones in its Quarter Pounder burgers by sometime in 2018 at most of its U.S. locations. Employees will cook up the never-frozen beef on a grill when ordered. (AP Photo/Gene J. Puskar, File)

A European Union probe into McDonald's Corp. is entering its final stages after officials gathered information on whether the Big Mac maker unfairly benefited from a hefty tax break in Luxembourg, according to people familiar with the case.

The European Commission may move ahead with a decision in the McDonald's case before the EU's summer break in August, according to the people, who asked not to be named because details of state-aid investigations are confidential. That means the ruling could arrive before another pending decision on Amazon.com Inc.'s tax deals with Luxembourg, the people said.

EU Competition Commissioner Margrethe Vestager has been cracking down on tax loopholes, ordering Apple in August to pay as much as 13 billion euros ($13.9 billion) plus interest in back taxes over an illegal accord with Ireland. Shortly after, she warned that Amazon and McDonald's were next "in the pipeline." At stake are billions that multinational companies have squirreled away in tax havens, out of the reach of authorities in the countries where they make most of their sales.

Partly in response to the EU probe, McDonald's announced in December it will ditch Luxembourg and switch its non-U.S. tax base to Britain, where it would create a new international holding company in charge of royalties from licensing intellectual property rights.

The Brussels-based commission opened its probe into McDonald's more than a year after starting an in-depth investigation of Amazon's tax affairs. Other cases opened around the same time as Amazon have led to decisions in which Starbucks and a Fiat Chrysler Automobiles unit were ordered to each pay as much as 30 million euros in back taxes to the Netherlands and Luxembourg respectively. Court appeals in all cases are already pending, including ones by Ireland and Apple over their EU state-aid decision.

McDonald's and the EU didn't respond to requests for comment. Amazon declined to comment.

The investigations have been creating tensions in EU-U.S. relations, with then U.S. Treasury Secretary Jack Lew writing to Commission President Jean-Claude Juncker last year about the "disturbing international tax precedents" that the EU probes are creating.

Last week at an event in Paris, a former senior U.S. Treasury official continued the criticism of the EU for putting antitrust lawyers in charge of delving into "very, very tricky" issues that have troubled tax experts for years.

"The commission has got itself now in a position where it's a bunch of plumbers doing electrical work," Robert Stack, the Treasury's deputy assistant secretary for international tax affairs under the previous administration, said March 27. "The commission has probably bitten off more than it can chew."

Gert-Jan Koopman, the commission official in charge of the state-aid probes, hit back with a Shakespeare reference.

"There is something rotten in the land of tax if these matters are considered to be just a matter of technical interpretation," Koopman said at the Paris event. "It is very hard to understand how it is possible that a company operates in Europe and in effect pays hardly any tax whatsoever."

Further tax cases are planned as regulators sift through new information, he said Friday at a separate event in Berlin.

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