Medtronic���s Play for Covidien Is No Solution for Silicon Valley
NEW YORK (TheStreet) -- Medtronic's
While the blockbuster deal is a smart way for Medtronic to deal with its foreign cash -- especially given the company's decision to invest $10 billion of cash flow in the U.S. -- it will be a hard deal for tech sector giants like Google
The Medtronic deal for Covidien boils down to the following:
- Over the years, Medtronic has earned billions of dollars of profit in its foreign subsidiaries, many of which are in jurisdictions with lower tax rates than the United States.
- As a result, the company has generally kept its foreign earnings abroad instead of repatriating those profits to the U.S. where they would be taxed at a rate of about 35%.
- That foreign stockpile has helped to keep Medtronic's overall tax rate below the rate that it is charged in the U.S. However, the move also creates liability.
- Were Medtronic to repatriate those funds, it would eventually be taxed at the U.S. rate, meaning undistributed foreign profits present a risk to shareholders.
In buying Ireland-based Covidien, the former health care arm of Tyco
"This way with the access to the cash flow from outside the United States deployed aggressively in the United States, we can go after many more investments than we could previously," Medtronic said on Monday.
In this regard, the deal promises to be a winner. Medtronic shareholders won't suffer a future repatriation charge. Meanwhile, the company now may feel free to invest heavily in the U.S. without the risk it runs afoul of its investors.
Not Helpful to Tech
Medtronic's deal isn't helpful to the aforementioned tech sector giants.
Apple, Microsoft, Cisco, Google and Oracle have a combined $307 billion of cash sitting overseas as undistributed foreign profits, or about 82% of their overall cash, according to a March 31 report from Moody's Investors Service .
With large U.S. revenue bases and market capitalizations of between $150 billion and $550 billion, it would be nearly impossible for tech sector giants to find a foreign partner to invert their tax bases and deal with undistributed foreign earnings in a single neat transaction.