A U.S.-driven effort to reach a global accord on taxing big tech companies’ overseas profits is getting bogged down over ensnaring one firm in particular: Amazon.com Inc.
A Treasury Department proposal, which was distributed to other governments earlier this month and has been
The idea is that the new rules would apply to any large companies that exceed certain numbers, yet to be determined, for their annual revenue and profit margin. Before Treasury Secretary
The global talks, led by the Organization for Economic Cooperation and Development, are trying to address many countries’ concerns that tech giants -- and other multinationals -- aren’t being properly taxed under the current system of rules. The OECD effort seeks to replace the digital services taxes a growing number of countries are enacting to capture more revenue from companies like Google, Facebook and Amazon.
But Amazon’s unusual status as a low-margin tech giant is emerging as a sticking point in negotiations. Seattle-based Amazon recently reported a global operating margin across its businesses of 5.5%; that compares with Facebook’s margin of 45.5% and 27.5% at Google parent Alphabet Inc.
The U.S. proposal called for including only “the largest and most profitable” multinational corporations. It didn’t call for specific numbers, but both revenue and profitability thresholds would have to be set high to capture just 100 companies.
Two Italian government officials, speaking on condition of anonymity, said Amazon should be covered and there’s no reason why a global tax accord can’t capture companies with narrow profit margins but high revenue. Italy, the euro area’s third-biggest economy, has imposed a 3% tax on companies with overall revenue above 750 million euros ($903 million) and revenue from digital services in Italy above 5.5 million euros.
A European Commission spokesperson said Tuesday that while the U.S. proposal offers a “promising opportunity” for progress toward a deal, “we should not forget what the initial policy rationale was: a fairer taxation of the digital economy. It is essential that any proposal on the table also addresses this challenge.” A French finance ministry official said they are still examining the U.S. proposal to determine if it would cover all digital multinationals.
The U.S., however, has long opposed an agreement that singles out a particular slice of the economy, such as rules that only affect digital companies, and the new Treasury proposal is intended to make the plan’s scope more quantitative and objective.
U.S. officials are aware that other finance ministries are trying to get low-margin companies captured within the profitability threshold, according to people familiar with the matter, who said Amazon is the target of these discussions. The U.S. continues to oppose efforts to target any single company or sector, said the people, who asked not to be identified.
The U.S. Treasury and Paris-based OECD declined to comment. Amazon didn’t respond to a request for comment.
“We’ve made it very clear to our European counterparts that we will not support a tax that is discriminatory towards American companies,”
No matter how successful an accord might otherwise be in reshaping tax collection and satisfying calls for multinational firms to pay their fair share to governments, failing to apply it to Amazon -- led by the world’s
“Ultimately, it must catch Amazon, otherwise it will be deemed a failure,” and countries might unilaterally introduce their own measures, said Tommaso Faccio, an official at the Independent Commission for the Reform of International Corporate Taxation, a group advocating for overhauling global taxes.
Negotiators are considering the U.S. pitch as nearly 140 countries work to find consensus on both the profit reallocation plan and a global minimum tax, and present it to Group of 20 finance ministers in early July. President
One method under consideration for including Amazon in the rules would be to allow taxation on specific lines of business, rather than just companies as a whole, according to the people familiar with the matter. For example, if the rules considered the lucrative Amazon Web Services business -- with an operating margin of 28% -- separately from the company’s lower-margin retail arm, countries could still see some of the company’s profits reallocated.
While the U.S. isn’t completely opposed to targeting business lines, it prefers any such practice to be limited, the people said.
In public consultations on previous iterations of the OECD plan, companies have argued that business-line segmentation will become overly complex.
Or, negotiators could also find a different way of setting the revenue and profitability thresholds that does capture the company, Faccio said. That would also risk making the rules more convoluted, after the U.S. proposal sought to simplify what had become an overly complicated determination of which companies would be covered.
“The administration clearly saw the need to inject momentum,” and decided to limit the proposal’s scope in an attempt to get an overall agreement by July, said Alex Cobham, chief executive at the Tax Justice Network. “But the politics will look less smart if the most high-profile companies in terms of public concern about tax abuse turn out to be excluded.”
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