{"database": "openregs", "table": "congressional_record", "rows": [["CREC-2025-03-27-pt1-PgS1885", "2025-03-27", 119, 1, null, null, "Pharmaceutical Companies (Executive Session)", "SENATE", "SENATE", "SEXECSESSION", "S1885", "S1890", "[{\"name\": \"Ron Wyden\", \"role\": \"speaking\"}, {\"name\": \"Sheldon Whitehouse\", \"role\": \"speaking\"}, {\"name\": \"Chris Van Hollen\", \"role\": \"speaking\"}, {\"name\": \"Peter Welch\", \"role\": \"speaking\"}]", "[{\"congress\": \"119\", \"type\": \"HR\", \"number\": \"1\"}]", "171 Cong. Rec. S1885", "Congressional Record, Volume 171 Issue 56 (Thursday, March 27, 2025)\n\n[Congressional Record Volume 171, Number 56 (Thursday, March 27, 2025)]\n[Senate]\n[Pages S1885-S1890]\nFrom the Congressional Record Online through the Government Publishing Office [www.gpo.gov]\n\n                        Pharmaceutical Companies\n\n  Mr. WYDEN. Mr. President, 4 years ago, I kicked off an investigation\nof Big Pharma's tax practices, the dodges and tricks these hugely\nprofitable, multinational companies use to winnow down their tax bills.\nThis was not very long after Trump's first tax breaks for corporations\nwent into effect. My Democratic colleagues on the Finance Committee and\nI wanted to know exactly how sweet a deal Trump gave the biggest drug\ncompanies and what changes needed to be made to ensure these\ncorporations paid a fair share.\n  So far, in the course of my investigation, I have released\ninformation on the tax practices of five major drug companies: AbbVie,\nAbbott Laboratories, Amgen, Bristol Myers Squibb, and Merck. The\nquestions that I asked these companies were not very complicated.\nEssentially, what I asked came down to questions like: How big were\nyour sales? Where did you make them? Where did you report your profits?\nWhere did you stick your intellectual property? Did you actually pay\ntaxes?\n  Last year, I expanded my investigation with an inquiry to the company\nPfizer. Pfizer initially resisted, but my staff and I were not going to\nlet up. Finally, the company provided some answers to our questions.\n  We are going to get into those issues now, and I ask unanimous\nconsent to enter into the Record a memorandum outlining records of my\ninvestigation relating to Pfizer's tax-avoidance schemes, which will\nalso be available immediately on the Finance Committee's website.\n  Mr. President, I ask unanimous consent to have the report printed\ninto the Record now.\n  There being no objections, the material was ordered to be printed in\nthe Record, as follows:\n\n                               Memorandum\n\n     Fr: Ron Wyden, Ranking Member, Senate Committee on Finance\n     Re: Pfizer used ``round-tripping'' scheme to book $0 in U.S.\n         income on 2019 tax returns\n\n                           Executive Summary\n\n       An investigation by the Democratic staff of the Senate\n     Finance Committee (``the Committee'') uncovered that after\n     passage of the 2017 Republican tax law, Pfizer carried out\n     potentially the largest tax-avoidance structure in the\n     history of big pharma. Even though Pfizer sold $20 billion in\n     drugs to U.S. customers in 2019, it reported $0 in taxable\n     U.S. profits on its 2019 tax returns by claiming to the IRS\n     that 100 percent of its income was earned offshore. This\n     offshore tax dodge allowed Pfizer to avoid paying billions of\n     dollars in federal income taxes on U.S. drug sales. Pfizer\n     even signed nondisclosure agreements with the governments of\n     Singapore and Puerto Rico on special tax deals arranged with\n     those jurisdictions, to keep the details of how Pfizer avoids\n     billions in taxes hidden from the U.S. Congress.\n       Pfizer's 2019 cross-border tax avoidance structure is\n     larger than those previously discovered by Senator Wyden's\n     staff investigation, including AbbVie, Amgen and Merck.\n     Pfizer joins a growing list of massively-profitable\n     pharmaceutical corporations that show little-to-zero U.S.\n     profits on tax returns, even though the U.S. is big pharma's\n     largest customer market.\\1\\ Senator Wyden's ongoing\n     investigation fully exposes how big pharma abuses ``round-\n     tripping'' schemes to skirt income taxes on U.S. drug sales\n     as it charges U.S. customers higher drug prices than any\n     other country in the world.\n\n                               Background\n\n       The Democratic staff of the Committee is conducting an\n     investigation into the tax practices of large pharmaceutical\n     corporations. This investigation examines how U.S. drug\n     companies use subsidiaries in jurisdictions treated as\n     foreign for tax purposes to avoid paying the 21 percent\n     corporate income tax rate on profits from drug sales to U.S.\n     patients.\n       As part of this investigation, the Democratic staff of the\n     Committee obtained tax return information from Pfizer, Inc.\n     (``Pfizer'') regarding how much of the company's income was\n     booked in foreign subsidiaries for tax purposes, generally\n     referred to as ``controlled foreign corporations'' (CFCs) in\n     tax parlance.\\2\\ Knowing how much of a company's income is\n     reported by CFCs provides a window into how much of a\n     company's income is reported offshore on tax returns. The\n     data provided by Pfizer exposes the extraordinary extent to\n     which Pfizer shifted taxable income out of the U.S., despite\n     making most of its profits by looting the pocketbooks of U.S.\n     customers.\n       The 2017 Republican tax law created a new incentive to\n     maximize how much income a U.S. company shifts offshore.\n     After slashing the corporate tax rate by nearly 40 percent,\n     from 35 percent to 21 percent, Republicans went even further\n     to help boost offshore tax avoidance by large corporations.\n     The Republican controlled Congress and first Trump\n     administration created the global intangible low-taxed income\n     (GILTI) system, which cut the tax rate on foreign income down\n     to just 10.5 percent. Thanks to this policy, every dollar\n     that big pharma can shift out of the U.S. gets its tax rate\n     cut in half. In addition to cutting the rate in half, the\n     GILTI system includes other designs--such as the use of\n     ``global blending''--to help large multinationals further\n     minimize their U.S. taxes. These design flaws were detailed\n     by the Committee in 2018 and again in 2021.\\3\\\n\n        Pfizer reported $0 in U.S. income on its 2019 tax return\n\n       The Democratic Committee staff investigation obtained tax\n     return information from Pfizer revealing that Pfizer booked\n     100 percent of its income in offshore subsidiaries on its\n     2019 federal tax filings.\\4\\ That year Pfizer recorded over\n     $21 billion in global income, yet not a single dollar was\n     reported as income earned in the United States for tax\n     purposes.\\5\\\n       Pfizer's tax returns expose a massive discrepancy between\n     where Pfizer has its customer base and where the profits from\n     those sales are taxed. Pfizer in 2019 sold more than $20\n     billion worth of prescription drugs in the United States,\n     accounting for a majority of the company's global sales\n     revenue.\\6\\ The United States is Pfizer's largest customer\n     market, yet Pfizer was able to book every single dollar of\n     the profits from those U.S. sales in foreign subsidiaries.\n     This was not a one off for Pfizer. Pfizer also reported no\n     taxable income in the U.S. in 2018 or 2020.\\7\\ That means\n     that for the three years immediately following the passage of\n     the 2017 Republican tax law, Pfizer did not treat a single\n     dollar of profit as earned in the U.S. for tax purposes.\n       That Pfizer was able to send all of the profits from U.S.\n     drug sales to subsidiaries in foreign tax jurisdictions\n     exposes the need to end the abuse of ``round-tripping''\n     strategies by big pharma and other large multinational\n     corporations.\n       Pfizer's round-tripping scheme is designed to exploit the\n     flawed GILTI system created by the 2017 Republican tax law.\n     By booking 100 percent of its taxable income in foreign\n     subsidiaries, none of Pfizer's income was subject to the U.S.\n     corporate tax rate of 21 percent, but instead the much lower\n     GILTI rate on foreign profits of 10.5 percent created by the\n     Republican tax law. Pfizer could lower its tax rate even\n     further through the use of\n\n[[Page S1886]]\n\n     generous tax incentive agreements with the governments of\n     low-or-zero tax jurisdictions, including Puerto Rico and\n     Singapore, and utilization of flaws in GILTI's design, such\n     as global blending. Pfizer also appears to book large amounts\n     of profits in subsidiaries in Ireland, joining a trend of\n     large multinational U.S. corporations that are exploiting\n     subsidiaries in Ireland to capitalize on heavily favorable\n     tax treatment.\\8\\\n       The result of these arrangements is that Pfizer has paid\n     tax rates that are unacceptably low. In 2019 Pfizer paid a\n     tax rate of just 5.4 percent, followed by rates of 5.3\n     percent, 7.6 percent and 9.6 percent between 2020-2022.\\9\\ In\n     fact, Pfizer pays a lower tax rate than millions of working\n     American families.\\10\\\n\n              Pfizer hides sweetheart tax deals with NDAs\n\n       Disturbingly, it appears that Pfizer has signed non-\n     disclosure agreements (NDAs) regarding the terms of its\n     sweetheart tax deals to exempt it from income taxes in\n     Singapore and Puerto Rico.\\11\\ In response to this inquiry,\n     Pfizer stated that it could not provide Senator Wyden with\n     information about its tax agreement with the government of\n     Singapore because the ``agreements with the government of\n     Singapore contain non-disclosure agreements that prevent\n     Pfizer from disclosing specific information about such\n     agreement.'' \\12\\ Pfizer also stated that the ``confidential\n     nature'' of its tax incentives with Puerto Rico and Singapore\n     must be ``protected''.\\13\\\n       Senator Wyden does not believe that sweetheart deals\n     between giant pharmaceutical corporations and foreign\n     governments to send tax revenue offshore instead of to the\n     U.S. should be concealed. The U.S. Congress must not be kept\n     in the dark regarding the extent to which U.S. territories\n     are being used to execute multi-billion-dollar corporate tax\n     shelters. As the U.S. Congress debates major changes to the\n     international tax system, the terms of these tax incentive\n     agreements are essential information.\n\n     Pfizer uses ``round-tripping'' strategy that is widespread in\n                        pharmaceutical industry\n\n       Pfizer is using an egregious tax gimmick known as ``round-\n     tripping.''In a round-tripping strategy, a U.S. company makes\n     sales to U.S. customers, but manages to have the income from\n     those sales treated as foreign for tax purposes. Instead of\n     being subject to the 21 percent corporate tax rate, the\n     income only is subject to the lower 10.5 percent GILTI tax\n     rate, and any resulting tax liability can also be offset by\n     taxes paid to foreign jurisdictions. A round-tripping\n     strategy can be achieved in a multitude of ways, including\n     the use of offshore manufacturing, shifting intellectual\n     property rights to tax havens, aggressive transfer pricing,\n     complex partnership arrangements, and others. Regardless of\n     the specific design, the end result is the same--less income\n     in the U.S. where customers are, more income sent offshore to\n     tax havens.\n       Pfizer is hardly alone when it comes to exploiting the use\n     of round-tripping to avoid paying taxes by sending profits\n     from U.S. drug sales to overseas subsidiaries. Senator\n     Wyden's investigation has already uncovered several examples\n     of round-tripping by big pharma.\n       For example, a 2022 report published by Senator Wyden\n     exposed how pharma giant AbbVie booked 99 percent of its\n     taxable income offshore to avoid paying billions of dollars\n     in taxes on U.S. prescription drug sales.\\14\\ Despite being\n     headquartered in the U.S. and generating 75 percent of its\n     sales from U.S. patients, only 1 percent of AbbVie's taxable\n     income was subject to the U.S. corporate income tax rate of\n     21 percent.\\15\\ As a result of this round-tripping\n     structure using subsidiaries in Bermuda, Puerto Rico and\n     elsewhere, virtually all of AbbVie's profits were taxed at\n     the substantially lower GILTI rate of 10.5 percent.\n       Senator Wyden's investigation also uncovered how Merck used\n     a round-tripping structure to ensure that all of the profits\n     from U.S. sales of blockbuster cancer drug Keytruda would be\n     taxed at the GILTI rate of 10.5 percent.\\16\\ Between 2019 and\n     2022 Merck sold an astounding $37.1 billion worth of Keytruda\n     in the United States, yet none of the profits generated by\n     those sales were treated as earned in the U.S.\\17\\\n       Senator Wyden's investigation also obtained information\n     from Merck indicating that this is because the intellectual\n     property rights for Keytruda are exclusively located in the\n     Netherlands and the drug is manufactured in Ireland. In a\n     response to the Committee, Merck stated that with respect to\n     Keytruda, ``. . . because its patents have always been owned\n     outside the United States, Merck's operating profit\n     attributable to Keytruda IP rights is taxed in jurisdictions\n     outside the United States.'' \\18\\ Merck also added that as\n     Keytruda sales increased by 55 percent from 2019 to 2021,\n     Keytruda ``became an even larger portion of Merck's overall\n     profits and [Keytruda's] expansion increased the portion of\n     Merck's overall income subject to tax outside the United\n     States.'' \\19\\\n       The 2017 Republican tax law makes it very easy to\n     successfully avoid taxes in round-tripping, and shutting off\n     this spigot of abuse is not complex. Policies to help shut\n     down aggressive round-tripping strategies were included in\n     the Wyden-Brown-Warner international tax reform framework\n     released in 2021, and international tax reform policies\n     included in the Build Back Better Act passed by the House in\n     2021. Republicans are well aware the prevalence of the use of\n     round-tripping by big pharma to avoid billions in U.S. taxes\n     and have expressed an interest in legislative action to curb\n     the abuse of round-tripping--at the time of the writing of\n     this report, it is unknown if big pharma lobbying will\n     prevent such key reforms from being included in any\n     Republican tax plan.\\20\\ Early versions of Republican\n     international tax plans prior to 2017 also included language\n     that would have limited big pharma's ability to use round-\n     tripping, but this language was abandoned during the back-\n     room, lobbyist-influenced process of drafting the 2017\n     Republican tax law.\\21\\\n\n      pfizer's tax avoidance structure may be the largest in the\n                        pharmaceutical industry\n\n       Pfizer's 2019 cross-border tax avoidance structure may be\n     the largest in the pharmaceutical industry, and certainly the\n     largest discovered during Senator Wyden's investigation. The\n     previous largest round-tripping scheme exposed by the\n     Committee's investigation was that used by AbbVie in 2020, in\n     which AbbVie booked 99 percent of its $9.5 billion in income\n     in CFCs offshore. Pfizer's 2019 structure dwarfs that: 100\n     percent of profits show up offshore (the U.S. share was\n     actually a loss, so more than 100 percent of profits went\n     offshore), and offshore profits are more than double what\n     AbbVie earned in the same year.\n\n                                Endnotes\n\n       1. Interim Report: Big Pharma Tax Avoidance, Senate Finance\n     Committee Chair Ron Wyden, July 2022, available online at\n     https://www.finance.senate.gov/imo/media/doc/\nPharma%20Tax%20Report.pdf; American Patients, American\n     Companies, Offshore Profits, Senate Finance Committee\n     Democratic Staff Memorandum, May 11, 2023, available online\n     at https://www.finance.senate.gov/imo/media/doc/pharma_public\n_release_final_51123.pdf.\n       2. A Controlled Foreign Corporation (CFC) is a foreign\n     corporation that is majority owned by U.S. shareholders that\n     own at least 10 percent of the foreign corporation.\n       3. Trump's Tax law and International Tax: More Complexity,\n     Loopholes and Incentives to Ship Jobs Overseas, Senate\n     Committee on Finance, July 18, 2018, available online at\n     https://www.finance.senate.gov/imo/media/doc/\nWyden%20Report%20-%20Trumps%20Tax\n     %20Law%20and%20International %20Tax%20071818.pdf. Overhauling\n     International Taxation, Senate Finance Committee Chair\n     Senator Ron Wyden, Senator Sherrod Brown, Senator Mark\n     Warner, April 2021, available online at https://\nwww.finance.senate.gov/imo/media/doc/\n040121%20Overhauling%20International %20Taxation.pdf.\n       4. Letter from Pfizer, Inc. to Senator Ron Wyden, Chairman,\n     Senate Committee on finance, Oct. 21, 2024 (At pg. 3,\n     According to 2019 federal income tax return information\n     provided by Pfizer, Pfizer's ``U.S. taxable income excluding\n     income from controlled foreign corporations'' was a loss of\n     $1.29 billion.''). The committee notes that this means that\n     100% of Pfizer's taxable income was reported by Pfizer's\n     controlled foreign corporations in jurisdictions treated as\n     foreign for tax purposes.\n       5. Id. at pg. 3, According to 2019 federal income tax\n     return information provided by Pfizer, Pfizer reported $16.94\n     billion in GILTI Income (line 17 of Form 1120, Schedule C),\n     $1.12 billion Subpart F Income (line 16a, b, and c on Form\n     1120, Schedule C), $2.65 billion Section 78 Gross Up (line 18\n     of Form 1120, Schedule C) and $0.57 billion in foreign income\n     exempt from tax (form 8892, Part II, line 4).\n       6. Pfizer, Inc., 2019 form 10-K, available online at\n     https://s28.q4cdn.com/781576035/files/doc_financials/2019/AR/\nPfizer-2019-Financial-Report.pdf.\n       7. Letter from Pfizer, Inc. to Senator Ron Wyden, Chairman,\n     Senate Committee on finance, Oct. 21, 2024 (At pg. 3, Pfizer\n     reported losses of $7.97 billion, $1.29 billion and $0.62\n     billion in the U.S. on its 2018, 2019, and 2020 federal\n     income tax returns, respectively). The Committee notes that\n     this means that 100% of Pfizer's taxable income was reported\n     by Pfizer's controlled foreign corporations in jurisdictions\n     treated as foreign for tax purposes those years.\n       8. This Country Won the Global Tax Game, and is Swimming in\n     Money, Ireland is setting a sovereign wealth fund filled with\n     tax revenue from U.S. tech and pharma companies, The Wall\n     Street Journal, Oct. 10, 2023, available online at https://\nwww.wsj.com/economy/global/this-country-won-the-global-tax-\ngame-and-is-swimming-in-money-57c3c70.\n       9. Pfizer, Inc., 2022 form 10-K, available online at\n     https://www.sec.gov/Archives/edgar/data/78003/\n000007800323000024/pfe-20221231.htm (at pg. 35 discussion on\n     effective tax rates); Pfizer, Inc., 2020 form 10-K, available\n     online at https://www.sec.gov/Archives/edgar/data/78003/\n000007800321000038/pfe-20201231.htm (at pg. 38 discussion on\n     effective tax rates).\n       10. IRS 2023 marginal tax rates for individuals, 22% for\n     incomes between $44,726 to $95,375 ($89,451 to $190,750 for\n     married couples filing jointly) available online at https://\nwww.irs.gov/filing/federalincome-tax-rates-and-brackets.\n       11. Pfizer, Inc., 2022 form 10-K, available online at\n     https://www.sec.gov/Archives/edgar/data/78003/\n000007800323000024/pfe-20221231.htm (At. pg. 69: ``We benefit\n     from Puerto Rican tax incentives pursuant to a grant that\n     expires during 2053. Under such grant, we are partially\n     exempt from income, property and\n\n[[Page S1887]]\n\n     municipal taxes. In Singapore, we benefit from incentive tax\n     rates effective through 2048 on income from manufacturing and\n     other operations.'').\n       12. Letter from Pfizer, Inc. to Senator Ron Wyden,\n     Chairman, Senate Committee on finance, Oct. 21, 2024 (At. pg.\n     6, ``Pfizer understands the Committee's request for\n     information on the specific tax relationship between Pfizer\n     and the governments of Puerto Rico and Singapore in Questions\n     7 and 8 of your letter, however, the requests implicate\n     confidential arrangements between Pfizer and each\n     jurisdiction, and the applicable agreements contain\n     commercially sensitive information. In particular, the\n     agreements with the government of Singapore contain certain\n     nondisclosure agreements that prevent Pfizer from disclosing\n     specific information about such agreement.''\n       13. Letter from Pfizer, Inc. to Ron Wyden, Chairman, Senate\n     Committee on Finance, Jun. 17, 2024 (``Pfizer understands the\n     Committee's request for information on the tax relationship\n     between the Company and the governments of Puerto Rico and\n     Singapore; however, the requests implicate confidential\n     arrangements between Pfizer and each jurisdiction. Just as we\n     are concerned about maintaining positive engagement with the\n     Committee, we are also concerned about maintaining positive\n     relationships with the U.S. states and territories in which\n     we operate, including Puerto Rico. To those ends, it is\n     important that the confidential nature of Pfizer's tax\n     incentive arrangements with the governments of Puerto Rico\n     and Singapore are protected.'')\n       14. Senate Finance Committee Investigation Reveals Extent\n     to Which Pharma Giant AbbVie Exploits Offshore Subsidiaries\n     to Avoid Paying Taxes on U.S. Drug Sales, U.S. Senate\n     Committee on Finance, July 2022, available online at https://\nwww.finance.senate.gov/imo/media/doc/\nPharma%20Tax%20Report.pdf.\n       15. Id.\n       16. American Companies, Offshore Profits, Senate Finance\n     Committee Democratic Staff Memorandum, May 11, 2023,\n     available online at https://www.finance.senate.gov/imo/media/\ndoc/pharma_public_release_final_51123.pdf.\n       17. Merck sales of Keytruda in the U.S. according to 10-K\n     filings with the SEC: $6.3 billion in 2019, $8.4 billion in\n     2020, $9.8 billion in 2021 and $12.7 billion in 2022.\n       18. Letter from Robert Filippone, Vice President, U.S.\n     Policy and Government Relations, Merck to Ron Wyden,\n     Chairman, Senate Committee on Finance, Apr. 15, 2022 at pg.\n     3: ``With respect to Keytruda, however, because it was\n     discovered outside the United States and its patents have\n     always been owned outside the United States, Merck's\n     operating profit attributable to Keytruda-related\n     intellectual property rights is taxed in jurisdictions\n     outside the United States.''\n       19. Id at pg. 4: ``As illustrated on page 53 of Merck's\n     2021 Form 10-K, Keytruda sales increased 55% from 2019 to\n     2021. This increase was substantially greater than Merck's\n     overall revenue growth of 24% over the same period.\n     Consequently, Keytruda became an even larger portion\n     ofMerck's overall income subject to tax outside of the United\n     States.''\n       20. Tax Writers eyeing international tax break used by\n     Pharma, Politico Pro, available online at https://\nsubscriber.politicopro.com/article/2024/11/tax-writers-\neyeing-international-tax-break-used-by-pharma-00189546.\n       21. H.R. 1, introduced by then-Ways and Means Committee\n     chairman Camp in 2014, included the pre-cursor to GILTI and\n     the corollary policy of foreign-derived intangible income\n     (FDII). In this 2014 version, CFC income would have only\n     benefitted from the lower rate if that income was ``foreign-\n     derived,'' i.e., it was ``sold for use, consumption, or\n     disposition outside the United States, or services provided\n     with respect to persons or property located outside the\n     United States.'' Under this definition, big pharma's sales to\n     U.S. customers would not be able to access the lower rate\n     that they are now able to access under GILTI as passed by\n     Republicans in 2017. See sec. 4211 of H.R. 1, the Tax Reform\n     Act of 2014, introduced Dec. 12, 2014. Available online at\n     https://www.congress.gov/bill/113th-congress/house-bill/1/\n text.\n\n  Mr. WYDEN. Mr. President, I am going to take a few minutes to walk\nthrough these findings and discuss why they are so important. I am very\npleased to be joined by several of my colleagues who are also outraged\nabout this tax-dodging.\n  Here is the upshot. My investigation has found that Pfizer carried\nout what could be the largest tax-dodging scheme in the history of Big\nPharma.\n  The United States is the largest market for Pfizer's products. In\n2019, the company sold $20 billion worth of drugs to American patients.\nIf you are following along on this discussion, you might be hoping to\nhear that Pfizer paid a reasonable rate of tax on those profits. I have\ngot bad news for you and the American people.\n  In that same year, Pfizer reported zero--not one red cent--in taxable\nU.S. profits. Through various tricks and games, Pfizer was able to\nshift 100 percent of its U.S. profits to foreign tax havens. This means\nthat Pfizer dodged billions of dollars in Federal income tax on its\nU.S. drug sales. There is every reason to believe it continues to do\nso.\n  Thanks to the tax law Trump and Republicans passed in 2017, Pfizer\ndoesn't need to keep the money stashed overseas. Pfizer can take this\ncash and pocket it with tax-dodging schemes and turn it into stock\nbuybacks, dividends, executive compensation--the list goes on.\n  There is an additional matter that is so disturbing. The company\nappears to be keeping some of its tax schemes hidden from view with\nwhat has been described to me as a confidential arrangement with the\nGovernments of Puerto Rico and Singapore. It is enough to leave you\nslack-jawed.\n  So this is a Senate investigation that will have a direct impact on\ntax legislation, and Pfizer is hiding relevant tax information behind\nnondisclosure agreements.\n  So colleagues, this is the sixth Big Pharma company where my\ninvestigation has found a staggering level of tax dodging. And these\nrip-offs don't happen by osmosis; they happen because Republicans have\nallowed them to happen. With the tax law they passed back in 2017,\nRepublicans delivered to Big Pharma a tax break of more than 40\npercent. From 2014 to 2016, the industry paid 19.6 percent, on average.\nIn 2019 and 2020, it paid 11.6 percent.\n  Now, reasonable people watching at home might be thinking about how\nRepublicans always claim to be worried about deficits and debt. Surely\nthose Republicans would dial back what they did in 2017 and ask these\nhuge, profitable corporations to pay a little bit more to ease our\nfiscal challenges. If you think that is the case--wrong.\n  So I want to bring my colleagues into this discussion momentarily,\nand I will close by looking at the big picture as Congress moves\nforward with this debate on taxes, health, child hunger, and more.\n  Republicans are in control of the Congress and the White House, and\nthey have locked Democrats out of the discussion. Somewhere here on\nCapitol Hill, there is a group of Republicans meeting right now, behind\nclosed doors, quietly planning the outline of their gigantic bill.\nNobody in that room is talking about how to protect people who work for\na living or how to get more fairness in the economy. The discussion\nthey are having comes down to how big the handouts are going to be for\nbillionaires and multinational corporations, how many tens of millions\nof Americans they are going to kick off Medicaid to pay for it, how\nmany millions of kids are going to go hungry, how many hundreds of\nthousands of workers are going to lose their jobs.\n  Republicans are doubling down on a broken system. And if you want to\nsee that system in action, read our report, because you couldn't find a\nbetter example than Big Pharma's tax dodging. These are huge\ncorporations that rake in enormous profits in U.S. sales because they\ncharge astronomical prices in America, and then their stables of\nlawyers and accountants get to work on a whole bunch of fancy financial\nwizardry, taking advantage of loopholes and rip-offs planted by\nRepublican lawmakers.\n  Suddenly, the record profits get shipped overseas. Often, the\nfactories get shipped overseas, the jobs get shipped overseas, and the\ncompanies aren't paying anything close to a fair share of taxes.\nTypical Americans who pay taxes out of every paycheck get ripped off.\n  Republicans are not going to fix this broken, unfair system. In fact,\nthey are gearing up to give tax-dodging corporations like these and\ntheir billionaire shareholders even bigger handouts. It is a scam. It\nis a rip-off on a national scale. The American people see it for what\nit is.\n  Senate Democrats are going to keep calling it out, because this must\nnot stand.\n  So I am very appreciative that my colleagues are joining me here on\nthe floor. We have a very important member of the Senate Finance\nCommittee to start, Senator Whitehouse, and I want to send this over to\nhim.\n  The PRESIDING OFFICER. The Senator from Rhode Island.\n  Mr. WHITEHOUSE. Mr. President, I thank Chairman Wyden. This is a\nreally important investigation, and it bears very exactly on the\nRepublican\n\n[[Page S1888]]\n\ntax scam that is being cooked up right now here in this Congress,\nbecause one of the keys to the Republican tax scam that is being cooked\nup right here in this Congress is giving big corporations the ability\nto move their profits--and even their jobs--offshore, away from\nAmerica, and get a tax break for doing that. And the total value of\nthis tax break--the award to big corporations from Republicans for\nmoving American jobs and profits offshore--is running at about $140\nbillion that other taxpayers are going to have to make up.\n  Big Pharma is the big winner in this offshore tax scam. If you look\nat Big Pharma's numbers, most sales are to U.S. patients. They sell\ntheir pharmaceutical products to Americans. But when you look at their\nfinancial reporting, 75 percent of their profits are declared as coming\nfrom outside of the United States. So you have some funky math going on\nhere because we know that Americans are charged more for Big Pharma's\ndrugs than people are overseas.\n  They overcharge Americans, Americans pay the highest prices, and most\nof the sales are going to Americans who are paying the highest prices.\nSo how is it that, when most of their sales are going to Americans, who\nare paying the highest prices, that is not where the profits are\nreported? The profits are reported from overseas, where they have fewer\npatients paying lower prices. How does that work? That works S-C-A-M,\nscam. And that is what the Republicans in Congress are trying to push\nforward into the future.\n  Thanks to the terrific work of our chairman, we have some specific\nexamples. The Republican tax scam went into effect in 2017. So they had\nto move pretty quickly. So we are looking at now 2019. How quickly did\npharma enjoy the benefit of this tax scam at Americans' expense?\n  Well, AbbVie is one company. In 2019, it declared three-quarters of\nits sales to American customers and essentially all of its profits\noffshore. As pharma does, they charged Americans the highest prices,\nand they sold 75 percent, nearly, of their drugs to those highly priced\nAmerican customers, and yet they claimed that all of their money came\nfrom the small fraction of their sales that they made at lower prices\noffshore. Again, S-C-A-M.\n  Who gets hurt? Well, who gets hurt is American workers because, very\noften, the jobs go offshore along with the profits. So an American\nworker loses his job so that an American company can move that job\noffshore and pay some foreign person for the work that should be here\nand gets rewarded by Republicans in Congress for a tax break for doing\nthat.\n  Who else gets hurt? Small businesses get hurt because, if you are\nrunning a small business, you can't set up this elaborate tax scam. You\ndon't have the accountants. You don't have the lawyers. You may not\neven have the nasty motive to try to cheat your own government this\nway. So small businesses take it in the neck against the big businesses\nthat can dodge their taxes through this complicated scam.\n  And even some big American domestic companies, like Rhode Island-\nbased CVS, which are all-American companies, which don't fake their\nprofits to be coming from Bermuda or the Cayman Islands or Singapore or\nwherever else, they suffer too because they are in competition with the\nbig multinationals that are playing shell-and-pea games with their\nprofits to hide it from the IRS.\n  So here is the racket: One, you overcharge Americans. Two, you use\nthe money that you earn from overcharging Americans to come to Congress\nand buy massive amounts of influence and get the Republican Party to do\nexactly what you want. And what you want is stage 3, the tax scam that\nlets you pretend you are making money offshore when you are really not,\nand then you save money by not having to pay taxes. And then you keep\novercharging Americans, you keep buying Congress, and you keep the tax\nscam going. It is rinse and repeat, and the big losers are Americans.\n  Where it comes home is where the chairman did his outstanding work\nfor Pfizer. And $20 billion is what Pfizer sold in drugs in America;\n$20 billion is what Pfizer sold in drugs overseas. They charged more to\nAmericans because pharma charges more to Americans. We know that. And\nyet Pfizer told the IRS that all--all--of its profits came from\noffshore--all of it--and, as a result, they got a huge, huge tax dodge.\n  So whether it is AbbVie or whether it is Pfizer or whether it is the\nindustry as a whole, we need to shut down this tax racket. It is not\nserving anyone. It costs American jobs, it is unfair to small\nbusinesses, and it cheats the regular taxpayers who pay their taxes\nhonestly and can't pretend that the revenue they made off American\ncustomers is somehow magically appearing out of the Cayman Islands or\nsome other foreign hideaway.\n  I thank Chairman Wyden for his amazing work.\n  Mr. WYDEN. Well said, Senator Whitehouse.\n  And I want to get my colleagues into this. Next in order of\nappearance is Senator Van Hollen.\n  Once again, I want everybody to understand that the four of us are\ngoing to continue to go after this colossal tax avoidance until it gets\nfixed, because the American people are getting ripped off.\n  Senator Van Hollen.\n  The PRESIDING OFFICER. The Senator from Maryland.\n  Mr. VAN HOLLEN. Mr. President, I want to thank Senator Wyden for\nbringing us together to shine a spotlight on one of the biggest tax\nheists in American history: the huge 2017 Trump tax giveaway to the\nvery rich and the biggest corporations that came at the expense of\neverybody else in America because everybody else in America has to pick\nup the tab for that giveaway to big corporations and the very rich. And\nthat tax heist played out right here on the Senate floor.\n  So why are we gathered here today to talk about something that\nhappened here 8 years ago? The answer is because it is about to happen\nall over again. In fact, this time, it may be on steroids. And the\nAmerican people need to know what will go down right here on the Senate\nfloor in a matter of months if we don't stop it.\n  So let's take a look at what Donald Trump and Republicans in Congress\npromised 8 years ago when they passed their big tax giveaway for the\nrich and then look at what actually happened. They promised that tax\ncuts to the very rich would trickle down and somehow benefit everybody\nelse in the country. It didn't happen. They promised that it would\ngenerate so much new economic activity that it would pay for itself,\nbut that didn't happen. It added $1.5 trillion to our national debt,\nand if you extend that out another 10 years, that will be another $5.5\ntrillion on the debt.\n  They promised that if they gave these benefits to big corporations,\nlike Pfizer and others in the pharmaceutical industry, they would use\ntheir tax savings to provide raises of $4,000, on average, to all of\ntheir workers. It didn't happen.\n  I will tell you who did get big bonuses. It was the CEOs and the\nexecutives.\n  And they promised that they would use their savings--that the\ncorporations would use another part of their savings--to reinvest in\nplants and equipment and, therefore, help the whole economy. It didn't\nhappen. What those big corporations did was use a lot of their tax\nsavings for stock buybacks to jack up the price of their own stock.\n  This plan that they passed--the Trump tax plan passed 8 years ago--\ndid something else. It provided that mechanism to help some of the\nbiggest corporations in America duck their tax obligations to the\nAmerican people by shipping their profits overseas and engaging in all\nsorts of scams, and today we have even more evidence of that fact.\n  I want to again thank Senator Wyden and his team on the Senate\nFinance Committee staff for the report he is presenting today because\nit is one of several reports he has done to expose how Big Pharma\nexploits the tax provisions of the 2017 Trump tax giveaway to magically\nmake their profits from selling drugs here in the United States\ndisappear. Somehow, all of those profits made here disappear when it\ncomes time to pay taxes, and that is how they miraculously reduce the\namount of taxes they have to pay.\n  And this report that Senator Wyden and his team put together shows\nthat this round-tripping scheme is how they do it--``round-tripping''\nmeaning you make your revenues here in the United\n\n[[Page S1889]]\n\nStates, at least 50 percent of the revenues in the case of Pfizer\nsales, but somehow, when it comes time to pay your taxes, you have\ntaken those profits and filtered them through all sorts of overseas\nschemes and entities to reduce that tax liability dramatically.\n  What the report shows is that while 50 percent of Pfizer's revenues\nare generated here in the United States, when it comes to booking its\nincome for tax purposes, they show zero profit on their U.S. operations\nand, by playing that game, dramatically reduce their overall tax\nliability.\n  This was facilitated by the 2017 Trump tax cuts, and it has allowed\nPfizer to reduce its tax obligations by billions of dollars, cut its\ntaxes by a whopping 40 percent--a whopping 40 percent--since that Trump\ntax scam was passed.\n  And while big corporations win, everyone else loses. You know,\nAmerican families, they can't use this round-tripping scheme. You can't\nsomehow erase the taxes you owe on the earnings you make by running\nyour earnings through various offshore schemes.\n  Small businesses in America can't erase their American-based tax\nprofits by using these round-tripping schemes, but the Donald Trump tax\nscam allows big corporations like Pfizer to do exactly that. By doing\nthat, they have reduced their overall effective tax in the\npharmaceutical industry to about 11 percent, far less than the rates\npaid by most middle-class families in America.\n  When Big Pharma and big corporations shortchange America on the taxes\nthey pay, they shortchange every citizen of this country. It means they\nare contributing less to modernize our infrastructure, less for public\nschools, less for our common defense. They become free riders on\neverybody else.\n  So that is why we are here on the floor to blow the whistle. I will\njust close with this: I have said this before, but I am going to say it\nagain because we are heading toward our big debate here on this issue.\n  And that is, when on Inauguration Day, just down the hall here,\nPresident Trump was sworn in, he talked about a new golden age for\nAmerica. Come to find out that when he is talking about a golden age,\nhe is talking about a golden age for the people who were sitting right\nbehind him on that platform when he was sworn in: Elon Musk and the\nbillionaires. There are more billionaires in the Trump Cabinet than at\nany time in American history by far.\n  And so on the campaign trail, Donald Trump says he wants to go after\nthe elites. On the campaign trail, he says: I am going to look out for\nthe forgotten Americans. Well, I will tell you what: He has forgotten\nAmericans unless they happen to be a big corporation or the head of a\nbig corporation.\n  This is the big betrayal in action, and we are going to witness this\nbig betrayal in action even more in the coming months here on the\nSenate floor if we don't stop it.\n  I want to thank Senator Wyden and his team for exposing exactly what\nwill happen if we don't stop it.\n  I yield the floor.\n  Mr. WYDEN. Mr. President, I thank my colleague. Once again, you can\nhear his expertise in the Ways and Means Committee and the body on\nthese issues, and I thank him for his leadership.\n  A new member of the Finance Committee, Senator Welch, is here and he\nwill have some remarks and then I will wrap up.\n  Senator Welch.\n  The PRESIDING OFFICER. The Senator from Vermont.\n  Mr. WELCH. Thank you, Senator Wyden.\n  Mr. President, when I talk to Vermonters, as I am sure when you talk\nto Tennesseeans, everyday, hard-working people at the end of the month\nare struggling to pay their bills. It is expensive.\n  And people are working really hard, but the cost of things is going\nup. Taxes are eating into their paychecks, and they don't understand\nhow it is they can work so hard--many families, it is two people\nworking--and they still can't pay their bills.\n  There is a suspicion among a lot of folks I talk to that there is\nsomething wrong, and it is kind of a rigged situation. What we are\ntalking about today proves that the suspicion that Vermonters have\nabout things being rigged, they are right.\n  The second point I want to make at the outset is this issue, this\nspecific example, provides such clarity that some of the worst things\nthat cause the most suffering and the most economic insecurity are\ntotally legal--totally wrong, by the way, but legal.\n  What did we find out with the Wyden report? We found that a major\nU.S. pharmaceutical company was able to make sales of $20 billion of\nits product in 2019 and report zero income--zero in profits here in\nthis country.\n  What that ultimately means is that what Pfizer paid for taxes--\ndespite this extraordinary profit, they paid less than the mailroom\nclerk pays in Social Security. They paid less than the pharmacist at\nthe drugstore who dispenses the prescriptions. They paid less than the\ndelivery drivers who may have brought these prescriptions to a person's\nhome. They paid less than the employees of Pfizer, whether it was a lab\ntechnician or a clerk or anyone at that company.\n\n  So Vermonters asked me: Wait a minute. How is this $20 billion in\nsales, extraordinarily profitable company--yet under the legal use of\nthe Tax Code, they are able to report zero? Well, this is where, as\nmuch as I condemn Pfizer for manipulating and taking advantage of these\nlegal loopholes, I say the U.S. Senate and the U.S. Congress bears\nenormous responsibility for allowing this legal loophole to be used.\n  Pfizer and every profitable company should pay their fair share of\ntaxes. That is all we are talking about. So when Vermonters, at the end\nof the month, are trying to look at how they are going to pay their\nbills if their checkbook balance won't cover it, and they think the\nsystem is rigged, they are right.\n  One of the ways for us to unrig it is to attack this legal use of the\nTax Code that was passed by this Congress.\n  Now, this is worse than just the Tax Code because other provisions\nhave made Pfizer so profitable courtesy of the taxpayer. One of their\nmajor drugs, Eliquis, $791 million of taxpayer money was used in the\nresearch and development of it. Pfizer has that, been immensely\nprofitable, and by the way, it is a good drug. It helps with strokes,\nbut it is a wicked price.\n  So here in the United States, if you are buying that drug, that costs\n$7,100. In Canada, it is 900 bucks. In Japan, it is $940; the United\nKingdom, $760; in France, $650.\n  So Vermonters ask me: Wait a minute. Our taxpayer dollars went into\nhelping Pfizer develop that drug, $791 million, and we have to pay six,\nseven, eight times here in the United States than Pfizer sells it in\nother countries that are our peers? They think that is wrong, and so do\nI.\n  Then you think about the protection that this Congress gives to\nintellectual property, and rightly so, where that pricing power that\ngoes along with getting a patent is so abused in this country that it\ninflicts enormous economic hardship on individuals who have to buy it\ndirectly, on taxpayers who fund it through Medicare and Medicaid, and\non our employers who really care about their employees and they want to\nprovide employer-sponsored healthcare, but those premiums keep going up\nand up and up because of the pharma prices, and it means the raises are\nflat. That is not right.\n  Then you have the fact that for pharma, we have created, as we\nshould, publicly financed healthcare--Medicare, Medicaid--and employer-\nsponsored. So you have a situation for the pharmaceutical industry, and\nwe are talking specifically now about Pfizer, where they get a\nguaranteed market: Medicare, Medicaid, employer-sponsored. They get a\npatent and then abuse the pricing power that goes along with it and\nstick it to Americans, despite the fact that American taxpayers funded\nso much of the basic research that went into developing this product\nthey put out on the market. Then they end up with a tax code, courtesy\nof the U.S. Congress, that allows them to do what no corner drugstore\ncould ever do; basically say that the sales they made weren't really\nmade at the corner in Burlington, VT, they were made at the corner in\nSingapore.\n  Oh, and by the way, Pfizer worked out a deal with Singapore to get\npreferential tax treatment. And when they were asked, What was that\nagreement, they had a nondisclosure agreement\n\n[[Page S1890]]\n\nwith Singapore to conceal from legitimate investigation about their tax\nliability, what that deal was.\n  So this is really shocking. But if any of us wonder why everyday\nfolks who are showing up to do their job in all of their places of\nemployment in your State and mine and then at the end of the month,\ndespite all their hard work, are having trouble paying their utility\nbill and they just wonder, Is this system rigged, they are right.\nExhibit A is what has been exposed in this report by the Senate Finance\nCommittee and Senator Wyden.\n  Mr. WYDEN. Senator Welch, thank you for your leadership. It is great\nto have you on this committee.\n  Mr. President, to wrap up, our investigation has found that Pfizer\nhas carried out what could be the largest tax-dodging scheme in the\nhistory of Big Pharma. This Big Pharma rip-off is exactly what\nRepublican Senators should be rooting out in their upcoming tax bill.\n  Instead, it looks like Senate Republicans may lock this outrage in\npermanently. All Americans who believe in tax fairness should join us\nin fighting any extension of this tax boondoggle.\n  I yield the floor.\n  The PRESIDING OFFICER. The Senator from Tennessee."]], "columns": ["granule_id", "date", "congress", "session", "volume", "issue", "title", "chamber", "granule_class", "sub_granule_class", "page_start", "page_end", "speakers", "bills", "citation", "full_text"], "primary_keys": ["granule_id"], "primary_key_values": ["CREC-2025-03-27-pt1-PgS1885"], "units": {}, "query_ms": 11.206260183826089, "source": "Federal Register API & Regulations.gov API", "source_url": "https://www.federalregister.gov/developers/api/v1", "license": "Public Domain (U.S. Government data)", "license_url": "https://www.regulations.gov/faq"}