GOOGLEは、広告収入を法人税率の低いアイルランドやオランダ、ルクセンブルグを経由して無税天国のBERMUDAS島に利益転送して税金を2'4%シカ払っていない。GOOGLE SPAIN は、2008年には3億2440万0000ユーロの広告収入を挙げたのに,
アイルランドに利益転送して、1706万0000ユーロの広告収入と申告し、純益を46万2388ユーロと申告し、法人税を1万0566ユーロだけ払った!!!(ふざけた脱税!!)
Google usa paraísos fiscales para pagar solo un 2,4% de impuestos
La filial española declara una mínima parte de los ingresos que genera
Bloomberg / M. Jimenez Casado 22 OCT 2010
Google uses tax havens to pay only 2.4% tax
The Spanish subsidiary declares a fraction of the income generated
Bloomberg / M. Jimenez married 22 OCT 2010
Google cut its taxes by about 3,100 million dollars (2,200 million) during the last three years using techniques that transfer the bulk of its profits from outside the United States to Bermuda through Ireland and the Netherlands. That has allowed to reduce their tax rate on foreign profits to only 2.4%. The use of these techniques is also allowing you to pay a minimum amount of tax in Spain.
Google uses a strategy that has also attracted companies like Microsoft or Facebook. Leverages bill not only from Ireland but also that Irish law allows hosting benefits in subsidiaries abroad, escaping even the 12.5% rate of Irish corporation. Benefits end in companies located in tax havens that do not tax the profits.
The seeker barely meets corporate tax in Spain
Google has been accused of violating tax rules. "Google's practices are very similar to those of many other global firms from various sectors," according to a company spokesman who declined to give details on its fiscal strategy.
Facebook, the world's largest social network, is preparing a structure similar to that of Google to send the profits from Ireland to the Cayman Islands, according to company documents and sources aware of their plans.
The diversion of benefits begins when companies like Google sell or license the foreign rights of intellectual property developed in the U.S. to subsidiaries in low-tax countries. A matrices interested in selling those rights as low as possible so as not to pay taxes in the U.S. for that income. Google obtained the approval of the U.S. Treasury to their transfer prices. The group licensed its search and advertising technology and other intangible assets for Europe, Middle East and Africa to a company called Google Ireland Holdings, in turn owns Google Ireland Limited. This last branch in Dublin, which employs 2,000 people, accounted for 88% of Google's revenue outside the U.S. in 2009. Bringing revenue to Ireland helps Google avoid high tax rates not only U.S. but also in other European countries, including Spain. But the benefits do not stay in Ireland because the subsidiary in that country pay 5,400 million dollars in royalties to Google Ireland Holdings, which states managed in Bermuda. The money passed earlier by a Dutch company to get tax breaks. Eventually escaping the treasury indefinitely, although in theory some of these benefits may be taxed when they are repatriated to the United States.
[Google Spain, the Spanish subsidiary, bill only a fraction of the revenue that Google does in the Spanish market. In the 2008 accounts, latest recorded, reported revenues of 17.06 million. However, the sponsored links on search engines accounted for 324.4 million on advertising in 2008, according to the annual report of the Interactive Advertising Bureau (IAB) and PricewaterhouseCoopers (PwC). As the market share of Google's search engine in Spain is 96% (ComScore), the notional income of the company in Spain would total 300 million. Diverting revenue billed abroad from Ireland Google Spain allowed only declare a gross profit of 462,388 euros and 140,556 euros allocated only to corporation tax in Spain].
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