By using this site, you agree to the Privacy Policy and Terms of Use.
Accept
IndebtaIndebta
  • Home
  • News
  • Banking
  • Credit Cards
  • Loans
  • Mortgage
  • Investing
  • Markets
    • Stocks
    • Commodities
    • Crypto
    • Forex
  • Videos
  • More
    • Finance
    • Dept Management
    • Small Business
Notification Show More
Aa
IndebtaIndebta
Aa
  • Banking
  • Credit Cards
  • Loans
  • Dept Management
  • Mortgage
  • Markets
  • Investing
  • Small Business
  • Videos
  • Home
  • News
  • Banking
  • Credit Cards
  • Loans
  • Mortgage
  • Investing
  • Markets
    • Stocks
    • Commodities
    • Crypto
    • Forex
  • Videos
  • More
    • Finance
    • Dept Management
    • Small Business
Follow US
Indebta > News > Big Four accountants attack IRS over ‘capricious’ US tax treatment of Coca-Cola
News

Big Four accountants attack IRS over ‘capricious’ US tax treatment of Coca-Cola

News Room
Last updated: 2025/03/20 at 7:55 PM
By News Room
Share
5 Min Read
SHARE

Unlock the Editor’s Digest for free

Roula Khalaf, Editor of the FT, selects her favourite stories in this weekly newsletter.

Deloitte, PwC and KPMG have launched a scathing attack on the Internal Revenue Service, which they accused of “a pattern of arbitrary, capricious and unreasonable conduct” towards multinational companies that risks eroding confidence in the US tax system.

The three accounting firms made the claims about the US tax authority in a court filing this week supporting Coca-Cola’s attempt to overturn a ruling by the agency that could cost the drinks maker $18bn.

The dispute centres on “transfer pricing” arrangements relating to the allocation of profits between Coca-Cola subsidiaries in different countries. The tax arrangements had been blessed by the other Big Four accountancy, EY, which has audited the drinks maker’s financial statements since 1921.

In a joint submission to the Atlanta appeals court, Deloitte, PwC and KPMG backed Coke’s argument that the IRS had acted unfairly by changing the tax treatment of intercompany payments involving subsidiaries making syrups for its fizzy drinks.

The firms, which together advise the majority of US multinationals on their taxes, said the IRS was failing to live up to its stated mission to help taxpayers “understand and meet their tax responsibilities”.

The firms, which are not parties in the litigation, wrote they “hold a deeper concern” that the tax authority’s actions in the case “are part of a broader pattern of IRS enforcement actions that have whipsawed taxpayers across the country”.

They added: “In our collective experience, the IRS in recent years has routinely felt empowered to discard and disavow prior agreements and audit history without supplying a justification for the proposed change.”

The firms cited other cases involving the medical devices maker Medtronic and the industrial group Eaton Corp, adding that upholding the IRS’s decisions in the Coca-Cola case “would risk significant negative consequences for the US tax system”.

The accounting firms said taxpayers relied on the IRS adopting consistent policies in its approach to transfer pricing. “If this court does not restrain the IRS’s unjustified shifts in position, other taxpayers will likely be subjected to similar arbitrary and unreasonable behaviour, contributing to an erosion of confidence in the fairness of the US tax system,” they added.

The IRS said it does not comment on pending litigation.

The dispute with Coke is one of the most financially significant being fought by the US tax authorities and is being widely followed in corporate America. Business lobby groups including the US Chamber of Commerce and the National Association of Manufacturers have weighed in to support Coke.

The company has paid $6bn after losing the first round of its legal battle against the IRS, covering the tax years 2007 to 2009, but has told shareholders it is confident of winning its appeal and getting the money back.

If it loses, and the IRS’s new treatment of Coke’s transfer pricing arrangements is vindicated, the company estimates it would have to pay a further $12bn to cover the shortfall since 2009 and result in it paying a higher rate in future.

The tax treatment of payments involving Coke’s syrup makers, which are typically located in low-tax jurisdictions, has been a running sore between Coke and the IRS for decades.

A similar dispute was settled in 1996 by reallocating more profits to the US parent company. Coke used the formula agreed in that case to calculate its tax returns for another decade without objection, before the IRS decided in 2015 that it had improperly suppressed US profits and ordered it to pay billions of dollars of back taxes.

The company is arguing this U-turn was “arbitrary and capricious”.

“If allowed to stand,” Deloitte, PwC and KPMG wrote in the their supporting brief, “it could have a deleterious effect on tax administration by needlessly creating controversies rather than fostering a co-operative environment among taxpayers and the IRS.”

Read the full article here

News Room March 20, 2025 March 20, 2025
Share this Article
Facebook Twitter Copy Link Print
Leave a comment Leave a comment

Leave a Reply Cancel reply

Your email address will not be published. Required fields are marked *

Finance Weekly Newsletter

Join now for the latest news, tips, and analysis about personal finance, credit cards, dept management, and many more from our experts.
Join Now
Jamie Dimon signals support for Kevin Warsh in Fed chair race

Unlock the White House Watch newsletter for freeYour guide to what Trump’s…

Europe’s rocky relations with Donald Trump

Gideon talks to Jens Stoltenberg, Nato's former secretary-general, about Ukraine and Europe's…

Here’s why Tesla stock is moving lower after its Q3 earnings report. 🔻

Watch full video on YouTube

How Levi’s, Gap And American Eagle Are Winning Back U.S. Shoppers

Watch full video on YouTube

China signals concern over falling investment

Stay informed with free updatesSimply sign up to the Chinese economy myFT…

- Advertisement -
Ad imageAd image

You Might Also Like

News

Jamie Dimon signals support for Kevin Warsh in Fed chair race

By News Room
News

Europe’s rocky relations with Donald Trump

By News Room
News

China signals concern over falling investment

By News Room
News

lululemon athletica inc. (LULU) Q3 2026 Earnings Call Transcript

By News Room
News

Crypto founder Do Kwon sentenced to 15 years in prison

By News Room
News

Synopsys, Inc. (SNPS) Q4 2025 Earnings Call Transcript

By News Room
News

Zelenskyy talks Ukraine postwar plan with Scott Bessent, Jared Kushner and Larry Fink

By News Room
News

Trump’s immigration data dragnet

By News Room
Facebook Twitter Pinterest Youtube Instagram
Company
  • Privacy Policy
  • Terms & Conditions
  • Press Release
  • Contact
  • Advertisement
More Info
  • Newsletter
  • Market Data
  • Credit Cards
  • Videos

Sign Up For Free

Subscribe to our newsletter and don't miss out on our programs, webinars and trainings.

I have read and agree to the terms & conditions
Join Community

2023 © Indepta.com. All Rights Reserved.

Welcome Back!

Sign in to your account

Lost your password?