@ilumium Or for EU corporate taxation in general, or to reverse the burden of proof for "value of the activities actually carried out by the [local] branches" and "existence of an advantage for the purposes of Article 107(1) TFEU".
If Ireland thinks Apple doesn't actually carry out activities in Ireland, then let other countries tax those sales... It's absurd that they can claim it's all an Irish matter *and also* that the activities are not in Ireland at all.
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