Pfizer's $99-billion tax arbitrage bid will encourage copycats. The biggest charm of the US drug giant's offer for AstraZeneca of the UK lies in switching to a lower-tax domicile. The latest and largest such deal to hit the headlines raises the odds Congress will tighten rules - but not yet. Inversions, by which companies relocate to cut their taxes, constitute a big merger theme. Mylan is seeking to take over Swedish Meda, which could relatively easily move to Ireland, and Allergan - itself the target of Canada's Valeant Pharmaceuticals - is eyeing Irish-domiciled Shire, according to Reuters sources.
One big Valeant selling point in its serial acquisition strategy, including its offer for Allergan, is its own low tax rate, achieved through the earlier acquisition of a Barbados operating subsidiary. Mallinckrodt Pharmaceuticals and Actavis have maneuvered into similarly advantageous positions as buyers. Activist investors are on the case too, pressuring pharmacy Walgreen to move its headquarters overseas. More deals are in the works, advisers say.
If Pfizer takes over AstraZeneca, it would have three beneficial effects on Pfizer's 27 per cent tax rate. First, UK companies don't pay taxes on overseas earnings. Second, the headline rate of tax on earnings is lower than in the US - it will be 20 per cent next year. And, third, Pfizer could take advantage of the so-called "patent box" scheme, which will be fully phased in by 2017. The tax rate on profit made on UK-patented products will be only 10 per cent.
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Such a huge deal by a well-known company, and the big loss of tax revenue, could provoke US lawmakers. Although President Barack Obama has proposed rules that would almost eliminate inversions, his proposal stands little chance of becoming law. Congress is also unlikely to act during this election year. The rules may well change again later - but in the meantime, Pfizer has validated the inversion tactic and more deals will probably follow.