Skip to content
International Adviser
  • Contact
  • Subscribe
  • Regions
    • United Kingdom
    • Middle East
    • Europe
    • Asia
    • Africa
    • North America
    • Latin America
  • Industry
    • Tax & Regulation
    • Products
    • Life
    • Health & Protection
    • People Moves
    • Companies
    • Offshore Bonds
    • Retirement
    • Technology
    • Platforms
  • Investment
    • Equities
    • Fixed Income
    • Alternatives
    • Multi Asset
    • Property
    • Macro Views
    • Structured Products
    • Emerging Markets
    • Commodities
  • IA 100
  • Best Practice
    • Best Practice News
    • Best Practice Awards
  • Media
    • Video
    • Podcast
  • Directory
  • My IA
    • Events
    • IA Tax Panel
    • IA Intermediary Panel
    • About IA

ANNOUNCEMENT: Read more financial articles on our partner site, click here to read more.

Financial centres slam Paradise Papers backlash

By Kirsten Hastings, 7 Nov 17

The UK’s crown dependencies and overseas territories have hit back at international media scrutiny and allegations that they facilitate tax avoidance and evasion following the leak of the Paradise Papers.

Putting the Apple in Appleby
Gallery

123456

Putting the Apple in Appleby

The Paradise Papers revealed that global tech giant Apple moved two firms from Ireland to Jersey, including one holding most of its untaxed offshore cash, estimated around £252bn (£192.2bn, €217.1bn).

The move followed international pressure on Ireland to crackdown on firms based on the emerald isle that claimed almost all of their income was not subject to taxes in Ireland or anywhere else in the world, reports the ICIJ.

On Monday, Apple responded to the leak: “Apple believes every company has a responsibility to pay its own taxes, and as the largest taxpayer in the world, Apple pays every dollar it owes in every country around the world.”

Apple advised that it had informed the US, Irish and European Commission regulators of its reorganisation at the end of 2014.

“The changes we made did not reduce our tax payments in any country.”

According to local newspaper Jersey Evening Post, Apple’s actions were not illegal and the companies have since moved out of Jersey.

The government of Jersey released a statement on Tuesday confirming that it would investigate whether or not the move was legitimate.

“Jersey does not want abusive tax avoidance schemes operating in the island and expects financial services providers to abide by a voluntary code to say they will not take on this kind of business.

“If this proves to be such business, we will consider how to strengthen our arrangements, if necessary by amending our legislation to introduce a substance test.

“It is not satisfactory for a foreign registered company to claim tax residence in Jersey without demonstrating a substance here. These allegations will be investigated, and we are asking the ICIJ to provide all relevant documents to support this action,” the statement read.

Tags: Bermuda | Cayman Islands | Crown Dependencies | Guernsey | Isle Of Man | Jersey | Paradise Papers

Share this article
Follow by Email
Facebook
fb-share-icon
X (Twitter)
Post on X
LinkedIn
Share

Related Stories

  • Industry

    UK finance firms join forces to launch retail investment campaign

    Companies

    VIDEO: II’s The Breakfast Briefing EP 2 – Sam Instone, CEO, AES International

  • Heather Hopkins

    Industry

    MPS assets surge 32% to £190bn as adviser usage grows

    Latest news

    FCA fines Nationwide Building Society £44m for AML failings


NEWSLETTER

Sign Up for International
Adviser Daily Newsletter

subscribe

  • View site map
  • Privacy Policy
  • Terms and Conditions
  • Contact

Published by Money Map Media – part of G&M Media Ltd Copyright (c) 2024.

International Adviser covers the global intermediary market that uses cross-border insurance, investments, banking and pension products on behalf of their high-net-worth clients. No news, articles or content may be reproduced in part or in full without express permission of International Adviser.