<tt id="6hsgl"><pre id="6hsgl"><pre id="6hsgl"></pre></pre></tt>
          <nav id="6hsgl"><th id="6hsgl"></th></nav>
          国产免费网站看v片元遮挡,一亚洲一区二区中文字幕,波多野结衣一区二区免费视频,天天色综网,久久综合给合久久狠狠狠,男人的天堂av一二三区,午夜福利看片在线观看,亚洲中文字幕在线无码一区二区

          World Business

          Profit exports import tax cuts

          By Jesse Drucker (China Daily)
          Updated: 2010-05-15 10:03
          Large Medium Small

          Profit exports import tax cuts

          Overseas tax savings increased Pfizer's net income by $1 billion last year, according to tax consultant Robert Willens. [ANDREW HARRER / BLOOMBERG]

          NEW YORK - Over the past three years, Pfizer Inc was an earner without profit in its own country.

          The maker of the cholesterol medication Lipitor, the world's top-selling prescription drug, reported almost half its revenues in the US for 2007 through 2009, while booking domestic pretax losses totaling $5.2 billion.

          Abroad, it was another story. A Dutch subsidiary more than made up for New York-based Pfizer's American losses. It reported pretax profits totaling $20.4 billion in 2007 and 2008 - with a tax expense of 5 percent, a seventh of the top US rate. Overseas tax savings increased the drugmaker's net income by $1 billion last year, according to Robert Willens, a tax consultant in New York.

          Pfizer is one of thousands of American companies that bolster their profits by attributing income to subsidiaries in countries with lower income tax rates, legally cutting their tax bills. Eli Lilly & Co and Oracle Corp were among other big companies that helped drive a 70 percent increase in accumulated earnings abroad that weren't taxed in the US from 2006 to 2009, according to data compiled by Bloomberg.

          "An inordinate concentration of profits in a low-tax country, way out of proportion to actual economic activity, is a sure sign of aggressive tax planning," said Martin Sullivan, a tax economist who formerly worked for the US Treasury and Arthur Andersen LLP.

          Willens, the president of Robert Willens LLC, a consulting firm in New York that advises investors on tax issues, analyzed financial filings for last year by Pfizer, Lilly and Oracle and found:

          * Pfizer increased net income by 13 percent compared with what it would have been without the tax benefit from foreign earnings. The company's $8.6 billion in net income would have been $7.6 billion, Willens said.

          * Lilly increased its 2009 net income by 21 percent to $4.3 billion from $3.6 billion, Willens found.

          * Oracle reported $5.6 billion in net income last year, 14 percent more than it would have reported without foreign earnings taxed at lower rates, according to the analysis.

          To be sure, each of those companies has actual sales abroad, although often in countries with tax rates similar to the US, which has an average combined state and federal corporate income tax rate of about 39 percent.

          Related readings:
          Profit exports import tax cuts US to increase exports to cut trade deficit
          Profit exports import tax cuts Obama plan can double US exports in 5 yrs: official
          Profit exports import tax cuts Pfizer sees strong growth in China
          Profit exports import tax cuts Will the Oracle exit huge portfolio?

          Oracle, which reported 44 percent of its sales in the US, had 16 percent in Germany, Japan, Canada and France, countries with rates ranging from 30 percent to 39 percent last year.

          Dozens of US companies attributed income to foreign subsidiaries in 2008 that exceeded their share of actual sales abroad, according to offshore corporate records and US securities filings compiled by Standard & Poor's Capital IQ. In some cases, the foreign units employ few or no workers.

          For pharmaceutical and technology companies it's relatively easy to shift ownership of patents and other intellectual property abroad, said Sheldon S. Cohen, a former IRS commissioner who is now a director at the investment firm Farr, Miller & Washington LLC in Washington.

          In a typical arrangement, a company will license the overseas rights for a patent developed in the US to a subsidiary in a low-tax country, said Michael C. Durst, special counsel at Steptoe & Johnson LLP, in Washington. That permits income from foreign sales to be attributed to the low-tax country.

          Treasury Department regulations require that prices paid between subsidiaries, such as licensing fees, be based on what unaffiliated companies would pay. Payments among Pfizer's subsidiaries are supported by economic studies of similar third-party transactions, said Joan Campion, a company spokeswoman.

          "All our transactions satisfy all arm's-length requirements," Campion said.

          An Irish subsidiary of Oracle that has no employees and paid no income tax in 2006 and 2007 was responsible for roughly a quarter of the parent's pretax income of $10.8 billion in those years, according to Irish records and Oracle's US securities filings.

          The unit distributes products "primarily in the European market" that were developed by the Redwood City, California-based company and "jointly funded under a cost sharing arrangement", according to its annual report from 2007, the most recent year available.

          Ken Glueck, a senior vice-president for Oracle, declined to answer questions about the company's use of transfer pricing.

          Bloomberg

          主站蜘蛛池模板: 福利一区二区1000| 亚洲欧美国产日韩天堂区| 中文字幕乱码中文乱码毛片| 国产日韩AV免费无码一区二区三区| 久久不见久久见www日本| 成人片99久久精品国产桃花岛| 2021国产成人精品久久| 免费一级a毛片在线播出| 亚洲中文字幕精品第三区| 日本一卡2卡3卡四卡精品网站| 中文字幕乱妇无码AV在线| 五月天久久综合国产一区二区| 性少妇videosexfreexxxx片 | 不卡国产一区二区三区| 色综合欧美五月俺也去| 亚洲天堂在线观看完整版| 国产乱子伦视频在线播放| 精品蜜臀国产av一区二区| 欧美日韩中文字幕久久伊人| 无码人妻久久一区二区三区app| 日本人成精品视频在线| 国产精品无码素人福利不卡| 国产成AV人片在线观看天堂无码| 久久伊99综合婷婷久久伊| 午夜福利精品国产二区| 欧美国产综合视频| 久久精品国产99久久久古代 | 狠狠狠色丁香综合婷婷久久| 国产中文字幕精品视频| 欧洲一区二区中文字幕| 亚洲精品日韩中文字幕| 人妻丰满熟妇ⅴ无码区a片| 国产女人喷潮视频免费| 久久精品人人做人人| 国产亚洲精品视频一二区| av无码东京热亚洲男人的天堂| 亚洲熟妇av综合一区二区 | 国产老头多毛Gay老年男| 婷婷综合久久狠狠色成人网| 亚洲国产性夜夜综合 | 欧美拍拍视频免费大全|