Tag: Digital tax

Netflix under investigation for alleged tax evasion in Italy

Netflix under investigation for alleged tax evasion in Italy

Public prosecutors in Italy have opened a preliminary probe into the taxation of Netflix on the basis that servers and cables constitute a digital infrastructure that makes revenues taxable under Italian law. Italian media, Corriere della Sera, says that the prosecutors are working with Italy’s fiscal police to determine whether revenues from Netflix’s estimated 1.4 million Italian subscribers are subject to Italian taxation, even though Netflix operates out of the Netherlands. Italian prosecutors have recently also probed into the taxation of other U.S. tech giants such as Apple, Amazon and Facebook and collected a reported €5 billion-plus in back taxes. “Netflix does not pay taxes” the investigation in Milan starts. However, unlike the previous cases, Netflix have no companies, offices or employees in Italy. But still, Netflix earns millions selling streaming services to Italian customers. According to the prosecutor cables, fiber optics, computers, servers and algorithms have now replaced traditional factories and production facilities. Netflix has said that it is ... Continue to full case
US SOUTH DAKOTA v. WAYFAIR, INC., June 2018, US Supreme Court, Case No. 17-494

US SOUTH DAKOTA v. WAYFAIR, INC., June 2018, US Supreme Court, Case No. 17-494

Concerned about the erosion of its sales tax base and corresponding loss of critical funding for state and local services, the South Dakota Legislature in 2016 enacted a law requiring out-of-state sellers to collect and remit sales tax “as if the seller had a physical presence in the State.” The Act covers sellers that, on an annual basis, deliver more than $100,000 of goods or services into the State or engage in 200 or more separate transactions for the delivery of goods or services into the State. Respondents, top online retailers with no employees or real estate in South Dakota, each meet the Act’s minimum sales or transactions requirement, but do not collect the State’s sales tax. South Dakota filed suit in state court, seeking a declaration that the Act’s requirements are valid and applicable to respondents and an injunction requiring respondents to register for licenses to collect and remit the sales tax. Respondents sought summary judgment, arguing that the ... Continue to full case