
In April 2021 comments by the US Treasury secretary prompted nervousness among Irish politicians and officials.
It was clear the US was preparing to reinvigorate international efforts to reform business taxation.
Janet Yellen wanted to end “the global race to the bottom” where large, mostly US firms organised operations to sharply reduce corporation tax bills.
A long-standing part of the Republic of Ireland’s economic strategy has been to attract tax-sensitive foreign investment.
Its headline corporation tax rate of 12.5% is among the lowest in the developed world.
Work on those global tax reforms has not been completed and Ireland may yet face a reckoning.
But for now the country is reaping an astonishing bounty.
That was made clear when Finance Minister Michael McGrath delivered his spring economic forecast last week.
He was in the happy position of being able to predict a budget surplus of €10bn (£8.85bn) this year or 3.5% of national income.
In other words the state will collect €10bn more in taxes than it spends.
That is not expected to be a one-off; the annual surplus is forecast to be more than €20bn (£17.7bn) by 2026.
Where has the money come from?
Ireland’s economy has recovered strongly from the Covid-19 pandemic so more taxes like VAT are being collected.
But something else is going on. That something is the corporation tax coming from multinational companies.
Last year Ireland raised €22.6bn (£20bn) in corporation tax, 182% more than the €8bn (£7.08bn) it took in just five years ago.
Of that €22.6bn Mr McGrath has designated about €12bn (£10.62bn) as a “windfall” from multinationals, meaning it has been derived from a particular set of circumstances that won’t last forever.
Ireland has long featured in the tax planning of multinational companies, often as a conduit for shifting money around.
But in the middle of the last decade some of the world’s biggest companies began to reorganise their affairs in a way which meant they would pay a lot more tax in Ireland.
Ironically this was partially a response to the pressure on big companies to clean up their act on tax.
The principle was that companies should declare profits in locations where they have substantial real operations or activities rather than just a low-tax location where they happen to have an office with few employees.
Ireland fitted the bill – it was a tax-friendly jurisdiction but companies like Apple had long had real operations in the country, employing thousands of people.
What came next was the legal relocation of intellectual property (IP) assets to Ireland – the most valuable profit-earning parts of these businesses.
Apple’s shift of IP assets in 2015 is widely believed to have been responsible for a wild swing in the country’s GDP that year.
Finance journalist Thomas Hubert has analysed company filings to work out how much tax Apple has paid in Ireland since that IP move.
In a recent piece for The Currency news site he estimated that the company paid Irish corporation tax “in the high €3bn (£2.65bn) to €4bn (£3.54bn) bracket” in 2022 alone.
There are probably other factors at play, including the expiration of certain tax breaks but commercial confidentiality means there is not really a full and easily understood explanation of precisely what is going on.
Source – BBC News
Leave a Reply