World Bulletin / News Desk
The Administrative Court of Paris on Wednesday, in five separate decisions, said the country’s tax authority could not claim on revenues generated by Google in France from 2005 to 2010, arguing they had been transferred to its Irish subsidiary, GIL.
The French finance ministry had said it was considering an appeal, which must be lodged within two months "given the important stakes in these cases, and, more broadly, the issue of fair taxation, in France, of profits derived from the digital economy".
The ministry also underlined "the significant role of French employees in Google’s commercial activity in France".
On Thursday, responding to a parliamentary question, Darmanin confirmed France would appeal “in the interests of the state”.
Google, however, said in a statement the rulings confirmed it "abides by French tax law and international standards".
Google, the main business of U.S.-based Alphabet Inc., controls 92 percent of the worldwide search-engine market share on all platforms, according to Internet traffic analyst StatCounter.
It also accounts for nearly that amount of the market share in Europe.
Last month, the EU hit Google with a record fine of $2.7 billion for violating antitrust regulations.