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Meta's $16B Tax Battle: IRS Eyes Real Profits, Not Forecasts
25 Feb
Summary
- IRS uses actual profit data to challenge offshore IP valuations.
- Meta faces $16 billion in back taxes and penalties from IRS.
- The IRS aims to set a precedent for multinational tax disputes.

The Internal Revenue Service (IRS) is initiating a new approach to tax disputes, shifting from spreadsheet-based forecasts to real-world profit data to challenge Big Tech's offshore intellectual property (IP) valuations. Meta Platforms is the first company facing this intensified scrutiny. The dispute stems from a 2010 tax structure designed to route profits from Ireland to zero-tax jurisdictions.
Auditors assert that Meta failed to report approximately $54 billion in income, resulting in an alleged tax liability of nearly $16 billion, including penalties. Meta has contested this in U.S. Tax Court, seeking to block the IRS's method. While a judge partially sided with Meta previously, the IRS is pursuing a new avenue.
A recent IRS Chief Counsel memo suggests that the "commensurate with income" standard can be applied through periodic adjustments based on actual earnings. This logic, if upheld, could impact numerous multinationals with significant offshore IP valuations based on earlier projections.
The IRS aims to establish a precedent with this case, a challenging task given its reduced workforce. The outcome could significantly affect how all multinationals with similar offshore IP structures value their assets, potentially leading to increased tax liabilities and closer scrutiny.




