Katana VentraIP

Double Irish arrangement

The Double Irish arrangement was a base erosion and profit shifting (BEPS) corporate tax avoidance tool used mostly by United States multinationals since the late 1980s to avoid corporate taxation on non-U.S. profits.[a] (The US was one of a small number of countries that did not use a "territorial" tax system, and taxed corporations on all profits, no matter whether the profit was made outside the US or not, in contrast to "territorial" tax systems which tax only profits made within that country.)[b] It was the largest tax avoidance tool in history and by 2010 was shielding US$100 billion annually in US multinational foreign profits from taxation,[c] and was the main tool by which US multinationals built up untaxed offshore reserves of US$1 trillion from 2004 to 2018.[d][e] Traditionally, it was also used with the Dutch Sandwich BEPS tool; however, 2010 changes to tax laws in Ireland dispensed with this requirement.

For broader coverage of this topic, see Ireland as a tax haven.

Despite US knowledge of the Double Irish for a decade, it was the European Commission that in October 2014 forced Ireland to close the scheme, starting in January 2015. However, users of existing schemes, such as Apple, Google, Facebook and Pfizer, were given until January 2020 to close them. At the announcement of the closure it was known that multinationals had replacement BEPS tools in Ireland, the Single Malt (2014), and Capital Allowances for Intangible Assets (CAIA) (2009):


US tax academics showed as long ago as 1994 that US multinational use of tax havens and BEPS tools had maximised long-term US Treasury receipts. They showed that multinationals from "territorial" tax systems, which all but a handful of countries follow,[b] did not use BEPS tools, or tax havens, including those that had recently switched, such as Japan (2009), and the UK (2009–12). By 2018, tax academics showed US multinationals were the largest users of BEPS tools and Ireland was the largest global BEPS hub or tax haven. They showed that US multinationals represented the largest component of the Irish economy and that Ireland had failed to attract multinationals from "territorial" tax systems.[f]


The United States switched to a "territorial" tax system in the December 2017 Tax Cuts and Jobs Act ("TCJA"), causing American tax academics to forecast the demise of Irish BEPS tools and Ireland as an American corporate tax haven. However, by mid-2018, other tax academics, including the IMF, noted that technical flaws in the TCJA had increased the attractiveness of Ireland's BEPS tools, and the CAIA BEPS tool in particular, which post-TCJA, delivered a total effective tax rate ("ETR") of 0–2.5% on profits that can be fully repatriated to the US without incurring any additional US taxation. In July 2018, one of Ireland's leading tax economists forecasted a "boom" in the use of the Irish CAIA BEPS tool as US multinationals close existing Double Irish BEPS schemes before the 2020 deadline.

CAIA capitalises the effect of the Double Irish in the Irish national accounts, leading to even greater ;

§ Distortion of Irish GDP/GNP

While the ETR of the Double Irish is close to zero, the Irish State has from time-to-time capped the level of allowances under CAIA to 80%, giving an ETR of 2.5%;

[o]

By providing the inter-group finance to purchase the intangible asset (step vi. above), the tax avoided by CAIA is almost twice that of the Double Irish;

While the loophole behind the Double Irish has been closed, CAIA is a more established tax concept internationally, although only for tangible assets.

using Malta[64]

Microsoft (LinkedIn)

using Malta[64]

Allergan (Zeitiq)

using Malta[63]

Teleflex

using Malta[74]

Abbott Laboratories

Drucker, Jesse (13 May 2010). . Bloomberg. Archived from the original on 1 July 2010. Retrieved 21 February 2019.

"U.S. Companies Dodge $60 Billion in Taxes With Global Odyssey"

. Australian Broadcasting Corporation.

An illustration of the "Double Irish Dutch Sandwich"