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Hampstead And Highgate Link To Lux Leaks

Wednesday, February 18, 2015

APAX Partners Lux Leaks Tax Dodging Has Links To Hampstead And Highgate Tory Donor And Is Tip Of UK Tax Shirking On Industrial Scale

UK Crown territories that refuse to play by transparent tax rules need to be stripped of links with the Queen and look elsewhere for new Head of State says GMB.

GMB is advising the electorate in Hampstead and Highgate parliamentary constituency area that Adrian Beecroft, whose company Apax Partners was involved in tax avoidance using the Luxemburg loopholes, lives in the area and has donated along with his wife £843,000 to the Conservative Party since 2007.  

Apax Partners is one of the 340 global companies identified by the International Consortium of Investigative Journalists (ICIJ) investigation whose files have become available thanks to the ‘Luxembourg Leaks.’ The leaks, over 28,000 pages of tax documents, show a confidential cache of secret tax arrangements approved by the Luxembourg Authorities that provide tax relief for these companies. With complex structures, the global companies can avoid billions in taxes by routing their profits through Luxembourg. See information in notes to editors on what is known re Apax Partners using Luxemburg.

Tax avoiding companies use the Luxembourg tax system for the treatment of interest with companies registered in Luxembourg being exempt from tax on interest income. Another benefit of the Luxembourg tax system is the 80% tax exemption on income from intellectual property which foreign subsidiaries pay for the use of brand names, patents and distribution rights and the money ends up in Luxemburg. See notes to editors for details of how companies use loopholes to avoid paying taxes in UK.

Adrian Beecroft lives in Hampstead and Highgate and is previously Senior Managing Partner at Apax Partners and a member of Apax Partners LLP. He called for an end to 'unfair dismissal' legislation. Mr Beecroft is a major Tory donor who attended a Leader’s Group event featuring a meal with a minister in attendance.

Paul Kenny, GMB General Secretary, said "Tax avoidance and tax evasion on an industrial scale is endemic, systemic and deep rooted in the City and for wealthy people like Adrian Beecroft across the UK.

Secrecy jurisdictions i.e tax havens - use secrecy to attract illicit and illegitimate or abusive financial flows.

Luxemburg is not an isolated case. Secrecy in tax matters in UK territories combined lead to them to top the world tax avoidance league table and UK companies make full use of this secrecy.

An estimated £20,000 billion of private financial wealth is located, untaxed or lightly taxed, in secrecy jurisdictions around the world.

A global industry has developed involving the world's biggest banks, law practices and accounting firms which not only provide secretive offshore structures to their tax- and law-dodging clients, but aggressively market them. 'Competition' between jurisdictions to provide secrecy facilities has, particularly since the era of financial globalisation took off in the 1980s, become a central feature of global financial markets.

The secrecy world give rise to fraud, tax evasion and aggressive tax avoidance, escape from financial regulations, embezzlement, insider dealing, bribery, money laundering and creates political impunity.

The next Labour Government has to use all its powers to stop this secrecy. Crown territories that refuse to play by the rules need to be stripped on links with the Queen and look elsewhere for a new Head of State."


Contact: Cath Speight GMB National Political Officer 07506 711925 or Kamaljeet Jandu, GMB National Equality and Diversity Officer on 07956 237178 or Gary Doolan, GMB National Political Officer on 07852 182358 or Martin Smith, GMB National Organiser on 07974 251722 or GMB Press Office 07921 28988.

Notes to editors

1 How the Luxemburg tax evasion works

A company sets up a subsidiary in Luxembourg and use accounting tricks to avoid paying 100’s of millions in tax bills. Luxembourg has a corporate tax rate of 29% but corporations use accountants to devise complex tax avoiding schemes. The Luxembourg government approves these private deals, tax rulings, and the 29% tax rate is cut to almost zero.

There are 3 tricks:
1 – Internal Loans
Sets up internal lending structures in Luxembourg – like setting up your own bank which you use to lend money to yourself, overseas. Your international part pay the money back plus interest shifting cash back into tax friendly Luxembourg.

2 – Royalty payments
A Luxembourg subsidiary can take control of a company brand name and then charge for its use overseas. Hefty royalties are paid back into Luxembourg where there’s an 80% tax exemption.

3 – Turning losses into wins
Losses can be put to good use. Decreases in the value of investments can be used for a tax offset against future profits without having to sell the investment.

This is why some of the biggest names in global business have set up Luxembourg outposts.

More complex version
Financial structures are used in Luxembourg which pay very little tax and secure them tax deductions in the countries where they do most of their business.

Ordinarily if an HQ is paid for supplies it sends to a subsidiary in another country the subsidiary can claim a tax deduction for those supplies. But the HQ is taxed on the payments it receives.
So, HQ provides loans – taxed on interest
Subsidiary – will get tax deduction

This is where Luxembourg comes in. The HQ sets up a branch in Luxembourg and a separate financing subsidiary. It uses loans and interest charges to shift profits from doing business where the subsidiary was based into Luxembourg. The subsidiary tells it’s tax authorities that it is paying interest on a loan from its Luxembourg company. As before, interest payments are tax deductable so it pays no tax but interest income is taxable in Luxembourg so you would expect tax to be levied. Separately, the HQ lends a similar amount to its branch in Luxembourg, mirroring the loan from the Luxembourg financial structure to its subsidiary. It persuades the Luxembourg authorities to consider both of its Luxembourg offices under one tax return. Used together, they say the loans to the subsidiary are effectively being passed on from the HQ. This allows the HQ in Luxembourg to claim a tax deduction. This almost entirely cancels out the tax bill created by its interest income from the subsidiary company.

It could be expected that tax would finally be charged in the home of the HQ when it receives interest income. But the authorities view the Luxembourg branch as an integral part of the HQ so no payments are seen. Consequently the tax authority see nothing which can be taxed. We now see a tax deduction by the subsidiary company. No corresponding tax charges in the home of the HQ and almost no charges in Luxembourg.

2 How Apax Partners operated in Luxemburg:


One of the 340 companies that had their secretive tax deals released by the ‘Luxembourg Leaks’ exposé is Apax through 4 tax rulings.

2007 – Advised by PwC on the investment in Capricorn AB, a Swedish healthcare provider. This investment was structured through two Luxembourg companies, Apax Capricorn 1 S.a.r.l. and Apax Capricorn 2 S.a.r.l.

At the time PWC were advising Project Capricorn (2007) Apax were one of the world’s leading private equity investment groups, operating across the United States, Europe, Israel and Asia, having raised approximately $20bn around the world.

2009 – Project Noodle – Advised by PwC in 2009 when they ‘acquired or intend to acquire PIK (payment In Kind) notes’ issued by PedalGreen Ltd (UK) for approximately €30m. This investment was structured through a double-tier Luxembourg Structure – Apax Look Group 1 S.a.r.l. and Apax Look Group S.a.r.l.

2010 – Project Eden – In 2007, funds managed and advised by Apax Partners acquired EMPA plc. In a co-investment with the Guardian Media Group plc. In 2010, PwC advised on the restructuring and improving the financial position of the EMAP group. This was done by purchasing the external mezzanine external debt structured through two new Luxembourg companies, Eden Debtco S.a.r.l. and Eden Debtco 2 S.a.r.l.

2010 – Project Mermaid – PwC advised on the Angel Structure, a fund involving Apax Partners, Blackstone Management Partners, Providence Equity Partners, Kohlberg Kravis Roberts and Permira Advisers. This fund was established in 2005 to facilitate the investment in TDC A/S, a leading provider of communication solutions in Denmark.

Further information on Apax leaked files can be found here:

London Head Office: 33 Jermyn Street, SW1Y 6DN.

LLP Member of Apax Partners LLP:

Dr Martin Halusa - Chairman
Giancarlo Aliberti
Christian Stahl

Nico Hansen

Peter Englander

Adrian Beecroft

Stephen Green

Richard Wilson

Alexander Fortescue

Steven Dyson

Paul Fitzsimons

Michael Phillips

Ian Jones

Andrew Sillitoe

Salim Nathoo

Max Burger-Calderon

Oren Zeev

Thomas Hall

John Megrue

Allan Karp

Chris Reilly

Irina Hemmers

Christian Nather

Emilio Voli

Josep Salomo

William Gumina

Simon Cresswell

Frank Ehmer

Gabriele Cipparrone

Ralf Gruss

Richard Zhang

Jason Wright

Rohan Haldea

Alexandre Pellegrini

Zehavit Cohen

Apax invest in the Consumer, Healthcare, Services, Tech & Telco sectors and investments include:

Orange Switzerland

Paradigm Ltd

Top Right Group (formerly Emap)

Autotrader Group

General Healthcare Group Ltd (largest private hospitals group in the UK)

Karl Lagerfeld

New Look Group

Tommy Hilfiger (exited)

Intelsat (exited)

Somerfield (exited)

TDC (exited)

Travelex (exited)


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