CF, OCI Amend Merger Agreement to Keep 'Inversion' Tax Benefit -- Update
22 December 2015 - 9:17AM
Dow Jones News
By Lisa Beilfuss
Fertilizer maker CF Industries and Dutch rival OCI NV, which
agreed to merge in August, said they would move the tax residency
of the combined company to the Netherlands from the U.K., in a move
to satisfy inversion rules put in place by the U.S. Treasury.
The $8 billion tie-up is a so-called tax-inversion deal that
would create a global nitrogen-fertilizer giant with a
significantly lower tax bill. When the deal was signed,
Illinois-based CF said it would lower its overall tax rate to 20%
from 34% by moving its address to the U.K. In the Netherlands the
corporate tax rate is 25%.
Inversions have helped drive mergers-and-acquisitions activity
to record highs as companies have looked to foreign deal making for
tax savings. In November, the U.S. Treasury unveiled new rules that
beefed up existing laws governing inversion deals. The rules apply
to deals in which the U.S. company's shareholders end up with more
than 60% of the combined entity. Under the CF and OCI deal, CF
shareholders would own 72.3% of the merged company. The biggest
such deal was announced in late November when Pfizer Inc. and
Allergan PLC agreed to a $150 billion tie-up that would move
Pfizer's address to Dublin.
The new rules make it harder for companies to do what the
Treasury calls "cherry-picking," which is finding an address in a
country with a favorable tax code.
Companies are now more limited to taking new addresses in the
country where the merger partner is organized.
By being a tax resident of the Netherlands, where OCI is
incorporated, the new holding company would satisfy the
requirements of the U.S. Department of the Treasury's notice issued
on Nov. 19, CF said.
Taking the new Treasury rules into account, CF still expects
roughly $500 million in annual cost savings, Chief Executive
Officer Tony Will said on a call with analysts and investors. CF
said the amended merger agreement doesn't affect timing of the
deal's completion, which is expected by mid-2016.
Mr. Will said the combined company would have had profits
generated in the Netherlands taxed at the Dutch tax rate before the
Treasury rules prompted the change of address. "If anything, this
is potentially a slight uptick" because CF can offset headquarter
expenses at the slightly higher Netherlands rate against profit
earned there.
As a result of being a Dutch company, he said, "U.K. profits
will not be double taxed in the U.S. anymore," taxed once in the
U.K. and streamed back to the Netherlands. "The U.S. won't have any
claim on being able to tax those profits."
Write to Lisa Beilfuss at lisa.beilfuss@wsj.com
(END) Dow Jones Newswires
December 21, 2015 17:02 ET (22:02 GMT)
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