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Table of Contents
SEAGATE TECHNOLOGY PLC
NOTES TO CONSOLIDATED FINANCIAL STATEMENTS—(Continued)
At June 27, 2014, the Company had U.S. federal, state and non-U.S. tax net operating loss carryforwards of approximately $2.9 billion,
$1.8 billion and $112 million, respectively, which will expire at various dates beginning in fiscal year 2016, if not utilized. At June 27, 2014, the
Company had U.S. federal and state tax credit carryforwards of $348 million and $81 million, respectively, which will expire at various dates
beginning in fiscal year 2016 if not utilized.
As of June 27, 2014, the use of approximately $376 million and $90 million of the Company's total U.S. net operating loss and tax credit
carryforwards, respectively, is subject to an aggregate annual limitation of $46 million pursuant to U.S. tax law.
For purposes of the tax reconciliation between the provision for income taxes at the statutory rate and the effective tax rate, the Irish
statutory rate of 25% was applied as follows:
A substantial portion of the Company's operations in Malaysia, Singapore, and Thailand operate under various tax holidays and tax
incentive programs, which expire in whole or in part at various dates through 2020. Certain of the tax holidays may be extended if specific
conditions are met. The net impact of these tax holidays and tax incentive programs was to increase the Company's net income by approximately
$289 million in fiscal year 2014 ($0.83 per share, diluted), to increase the Company's net income by approximately $338 million in fiscal year
2013 ($0.89 per share, diluted), and to increase the Company's net income by $504 million in fiscal year 2012 ($1.14 per share, diluted).
Since establishing Irish tax residency in fiscal year 2010, the Company consists of an Irish tax resident parent holding company with
various U.S. and non-U.S. subsidiaries that operate in multiple non-Irish taxing jurisdictions. The amount of temporary differences (including
undistributed earnings) related to outside basis differences in the stock of non-Irish resident subsidiaries considered indefinitely reinvested
outside of Ireland for which Irish income taxes have not been provided as of June 27, 2014 was approximately $2.8 billion. If such amount were
remitted to Ireland as a dividend, it is likely that tax at 25% or approximately $700 million would result.
As of June 27, 2014 and June 28, 2013, the Company had approximately $115 million and $157 million, respectively, of unrecognized tax
benefits excluding interest and penalties. The amount of unrecognized tax benefits, if recognized, that would impact the effective tax rate is
$115 million and $157 million as of June 27, 2014 and June 28, 2013, respectively, subject to certain future valuation allowance reversals.
89
Fiscal Years Ended
(Dollars in millions)
June 27,
2014
June 28,
2013
June 29,
2012
Provision (benefit) at statutory rate
$
389
$
458
$
720
Net U.S. state income tax provision
12
(2
)
Permanent differences
Valuation allowance
(100
)
(97
)
(70
)
Non
-
U.S. losses with no tax benefits
27
Non
-
U.S. earnings taxed at less than statutory rate
(313
)
(414
)
(645
)
Other individually immaterial items
(4
)
15
1
1
1
1
1
1
1
1
(Benefit from) provision for income taxes
$
(14
)
$
(7
)
$
20
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1