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No Inversion For Walgreens In Alliance Boots Deal

by Mike Godfrey,, Washington

13 August 2014

Walgreens has decided against moving its tax residence from the United States to Switzerland by way of a "corporate inversion" in exercising its option to purchase the remaining 55 percent stake in Alliance Boots.

The transaction, which is expected to be completed in the first quarter of 2015, involves a share purchase to combine fully the two companies into what is being called "the first global pharmacy-led, health and wellbeing enterprise." It will include Walgreen Co. (the largest drugstore chain in the US), Boots (the UK and Republic of Ireland's leading pharmacy-led health and beauty retailer), Pharmaceutical Wholesale and International Retail (including Alliance Healthcare, Europe's largest pharmaceutical wholesaler), and the remaining Global Brands.

Although Walgreens presently has an effective tax rate close to the headline US corporate tax rate of 35 percent, it has decided not to gain the reported USD4bn in tax savings over five years that could have been available to it by moving the company's base to Switzerland, where Alliance Boots is headquartered. A new holding company will now be formed, to be named Walgreens Boots Alliance, Inc., domiciled in the US and headquartered in the Chicago area.

Corporate inversions have been used by US companies when bidding for foreign companies as a means of moving away from America's high corporate tax rate. Under the present tax code, a company that merges with an offshore counterpart can, under certain conditions, move its headquarters abroad, and take advantage of the lower corporate tax rates in foreign jurisdictions.

Despite the fact that "the original option transaction would not qualify for an inversion under the current tax inversion rules," Walgreens confirmed that it "undertook an extensive analysis to explore the feasibility of a restructured inversion transaction that would provide the company with the customary level of confidence needed to withstand Internal Revenue Service (IRS) review and scrutiny."

It added that the company "considered a wide range of issues, including the potential financial benefits (and their sustainability) and the technical viability of a restructured inversion transaction under current US law. The company also was mindful of the ongoing public reaction to a potential inversion and Walgreens unique role as an iconic American consumer retail company with a major portion of its revenues derived from government-funded reimbursement programs [and with, currently, essentially no foreign operations]."

"We took into account all factors, including that we could not arrive at a structure that provided the company and our board with the requisite level of confidence that a transaction of this significance would need to withstand extensive IRS review and scrutiny," said Greg Wasson, who will be President and CEO of Walgreens Boots Alliance. "As a result the company concluded it was not in the best long-term interest of our shareholders to attempt to re-domicile outside the US."

Aside from concerns that it could have been involved in a protracted argument with the IRS, and potentially lose government contracts, Walgreens is thought to have been influenced by the growing anti-inversion political discussions in the US, and in particular the legislative proposals in Congress, and White House efforts to look at possible administrative actions that could reduce the tax benefits of inversions.

TAGS: compliance | tax | business | holding company | tax compliance | law | mergers and acquisitions (M&A) | corporation tax | Internal Revenue Service (IRS) | tax authority | offshore | health care | multinationals | transfer pricing | tax rates | Switzerland | United States | tax breaks | retail | Healthcare | Europe | Healthcare

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