The European Court of Justice (ECJ) has upheld Amazon's appeal against the European Commission's (EC) ruling that an Amazon royalty pricing arrangement agreed with the Luxembourg tax authorities was overstated. The EC had held that the reduction in profits amounted to receiving the equivalent of €250 million of State Aid.

In T-816/17  Luxembourg v Commission and Amazon EU Sàrl and T-318/18 Amazon.com Inc. v Commission,  the ECJ held that the EC did not show sufficient proof that the tax burden of Amazon's Luxembourg subsidiary was unduly reduced. As a result, the decision of the EC and the order for Amazon to pay back €250 million in State Aid was annulled in its entirety.

The ECJ considered the EC's decision that an advantage had been obtained under the rules of State Aid. The EC had to be able to show:

The ECJ held that:

Comment: The European Commission have been looking to hold US tech giants to account in respect of what many see as artificially small tax liabilities in Europe. This EC decision came hot on the heels of its conclusion that Apple had been given illegal tax breaks by the Irish government. In both cases, it was not only the US group, but the local tax authority involved, that appealed to the ECJ. Ireland even intervened in the Amazon case, supporting Luxembourg. The ECJ clearly aren't so easily swayed, having annulled both decisions. We now await the EC's appeal in the Apple case.

Useful guides on this topic:

BEPS & Diverted Profits Tax (for SME owners)
What is BEPS? What is Diverted Profits Tax? Will either of these affect me or my SME clients?

Diverted Profits Tax
Large multinational enterprises (MNEs) that use arrangements between connected parties to divert profits away from the Uk and so avoid UK tax, will be subject to the Diverted Profits Tax.

Digital Services Tax
The Digital Services Tax is a temporary mechanism to tax online sales pending a global solution. How does it work? Who is caught? 

Goodwill and the intangibles regime
How does the Corporation Tax intangible regime work? What is the treatment of goodwill for Corporation Tax? Do companies account for goodwill differently?

External links

Cases T-816/17 and T-318/18: Press Release

Cases T-816/17 and T-318/18: Full judgement


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