Double Irish With a Dutch Sandwich: Definition and How It's Used

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Multinational giants like Apple have famously used the Double Irish With A Dutch Sandwich to slash their tax bills by funneling profits through Irish and Dutch subsidiaries. This maneuver exploits international tax rules and treaties to push earnings into low- or no-tax jurisdictions. We'll break down how this complex scheme works and why it matters.

Key Takeaways

  • Tax strategy shifting profits via Irish and Dutch subsidiaries.
  • Exploits Irish residency and Dutch withholding tax treaties.
  • Used by multinationals to reduce taxes near zero.
  • Phased out by Ireland and OECD BEPS rules.

What is Double Irish With A Dutch Sandwich?

The Double Irish With A Dutch Sandwich is a complex tax avoidance structure used by multinational corporations to shift profits to low- or no-tax jurisdictions by exploiting Irish and Dutch tax laws. This strategy leverages the Irish tax residency rules combined with Dutch withholding tax exemptions to minimize corporate tax liabilities. It primarily involves routing royalties and intellectual property income through two Irish subsidiaries and a Dutch intermediary.

By using this setup, companies reduce their tax burden on foreign earnings, benefiting from Ireland’s low corporate tax rate and favorable tax treaties. This technique was widely used by major tech companies to optimize their global tax positions.

Key Characteristics

This tax strategy features a unique corporate structure designed to exploit cross-border tax rules:

  • Two Irish Companies: One Irish company is tax resident in a tax haven, holding intellectual property, while the second is a fully Irish-resident entity that earns global revenues.
  • Dutch Intermediary: A Dutch subsidiary acts as a conduit for royalty payments, benefiting from EU and bilateral treaties to avoid withholding taxes.
  • IP Licensing: Intellectual property rights are transferred to the non-resident Irish company, enabling royalty income to be shifted with minimal taxation.
  • Tax Residency Exploitation: The strategy exploits Ireland’s rules on tax residency and the U.S. classification of entities, such as C corporations, to create tax mismatches.

How It Works

The Double Irish With A Dutch Sandwich typically involves three entities: an Irish company managed from a tax haven that owns valuable intellectual property, a second Irish company that licenses this IP and handles sales, and a Dutch company acting as a tax-efficient intermediary. Royalties flow from the sales company to the Dutch conduit, then to the IP owner, effectively minimizing withholding and corporate taxes.

This routing reduces taxable income in Ireland to the corporate tax rate of 12.5% while deferring or eliminating tax on profits accumulated in the tax haven. The strategy takes advantage of tax treaties and hybrid entity rules, often involving the U.S. tax code’s treatment of foreign subsidiaries and the ability-to-pay taxation principle.

Examples and Use Cases

Several leading technology companies have historically used the Double Irish With A Dutch Sandwich to optimize their tax liabilities globally:

  • Apple: Apple famously shifted billions in profits through Irish subsidiaries, reducing its effective tax rate far below U.S. corporate rates.
  • Google: Google employed similar IP licensing structures to channel income through Ireland and the Netherlands, minimizing global taxes.
  • Microsoft: Microsoft also utilized this approach to manage royalties and intellectual property revenues efficiently.

Important Considerations

The Double Irish With A Dutch Sandwich was phased out starting in 2015 due to international pressure and reforms led by the OECD’s Base Erosion and Profit Shifting (BEPS) initiative. Ireland now requires new companies to be tax resident domestically, closing the loophole that enabled this structure.

While legacy arrangements may still exist, companies must adapt to evolving tax laws and increased scrutiny from authorities like the IMF. Understanding the historical use of this strategy is essential for navigating current multinational tax compliance and planning.

Final Words

The Double Irish with a Dutch Sandwich remains a powerful tool for minimizing global tax liabilities by exploiting specific jurisdictional rules. To assess if this strategy fits your corporate structure, consult a tax professional to evaluate compliance risks and current regulatory changes.

Frequently Asked Questions

Sources

Browse Financial Dictionary

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Johanna. T., Financial Education Specialist

Johanna. T.

Hello! I'm Johanna, a Financial Education Specialist at Savings Grove. I'm passionate about making finance accessible and helping readers understand complex financial concepts and terminology. Through clear, actionable content, I empower individuals to make informed financial decisions and build their financial literacy.

The mantra is simple: Make more money, spend less, and save as much as you can.

I'm glad you're here to expand your financial knowledge! Thanks for reading!

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