The EU has taken steps to curb tax avoidance by global corporations. In recent months, criticism in the budget-strapped bloc has mounted over tax loopholes exploited by companies such as Apple, Google and others.
European Union finance ministers on Friday approved new legislation aimed at ensuring that multinational corporations can no longer shift profits across the bloc's borders to avoid paying taxes.The EU attempt
to close a loophole in taxation practices in the 28-nation bloc was originally opposed by countries such asLuxembourg, Ireland and Malta
, which are benefiting from offering low corporate taxes to multinational companies.
According to the EU Commissioner for Taxation, Algirdas Semeta, the bill was approved unanimously by all of the bloc's finance ministers.
The closure of taxation loopholes would contribute to greater fairness within the EU, Semeta said in a statement, and garner higher revenues for member states' budgets.
According to EU estimates, tax fraud and corporate cross-border tax avoidance schemes cost the bloc's governments up to 1 trillion euros ($1.36 trillion) a year.
Under the new EU rules,multinational corporations
are barred from shifting profits to low-tax countries to redefine their gains as tax-deductible loans to their subsidiaries. The tactic involves a hybrid loan, which has characteristics of debt as well as equity so it can be treated as a tax-deductible debt payment in one country, and a tax-exempt dividend in another. The commission said that if such a loan payment is tax deductible in the subsidiary's member state, it must be taxed where the parent was established.
The reform came following reports that some multinational corporations had used the loophole to pay minimal taxes on their international operations.US technology giant Apple, for example
, paid little or no corporate tax on at least $74 billion in revenue over the past four years, largely by exploiting a loophole in Ireland's tax code. Similar accusations had been leveled against Google and Starbucks.
uhe/ hg (AP, dpa)