May 12, 2021
Amazon wins court fight against $303 million EU tax order
May 12, 2021
Amazon on Thursday won its fight against an EU order to pay about 250 million euros ($303 million) in back taxes to Luxembourg as Europe's second highest court dealt a blow to the bloc's crackdown against unfair tax deals for multinationals.
The Luxembourg-based General Court said Amazon had not enjoyed a selective advantage in its tax deal with Luxembourg.
"The Commission did not prove to the requisite legal standard that there was an undue reduction of the tax burden of a European subsidiary of the Amazon group," the judge said.
The Amazon ruling is a setback for European Competition Commissioner Margrethe Vestager, who has aggressively used the bloc's state aid rules to tackle sweetheart tax deals between multinationals and EU countries.
Vestager has a mixed record so far. The biggest setback was last year when the General Court threw out her order to iPhone maker Apple to pay 13 billion euros ($15 billion) in Irish back taxes.
The same court in 2019 rejected her order to Starbucks to pay up to 30 million euros in Dutch back taxes and also overturned an order demanding Belgium revoke a tax break that benefited 39 multinationals including BP and BASF.
The EU competition enforcer however found court support for its order to Fiat Chrysler Automobiles to pay back taxes up to 30 million euros to Luxembourg. The carmaker has appealed to the EU Court of Justice, Europe's highest.
Vestager has successfully made Ireland, Luxembourg, the Netherlands and Belgium change their tax ruling practices, and spurred the Organisation for Economic Cooperation and Development (OECD) to aim for a global deal on how multinational companies are taxed.
The European Commission in its 2017 ruling said the Grand Duchy spared the U.S. online retailer from paying taxes on almost three-quarters of its profits from EU operations by allowing it to channel profits to a holding company tax-free.
The cases are T-816/17 Luxembourg v Commission & T-318/18 Amazon EU v Commission.
© Thomson Reuters 2022 All rights reserved.