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Legal provisions that govern Elavon, its group, employers and general website users
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Modern Slavery Act Statement 2023
Modern Slavery Act Statement 2022
Modern Slavery Act Statement 2021
Modern Slavery Act Statement 2020
Modern Slavery Act Statement 2019
Modern Slavery Act Statement 2018
Modern Slavery Act Statement 2017
Modern Slavery Act Statement 2016
This Statement summarises the arrangements and approach under which the U.S. Bancorp Group (“U.S. Bank Group” or “the Group”) addresses the management of tax in our UK businesses. This document has been drafted to ensure that it is in accordance with the requirements of the UK Finance Act 2016 to have a tax strategy publicly available. We regard this statement as complying with our publication duty under Schedule 19 of the Act.
The U.S. Bank Group, based in Minneapolis, operates the 5th largest commercial bank in the United States and maintains operations in a number of countries worldwide. In the UK, the Group maintains 3 principal business units, carrying on payment services, corporate trust services and fund administration services respectively. These business units are operated though six entities in the UK[1].
During 2020, Elavon acquired Sage Pay (now Elavon Digital, trading as Opayo), a well-known and established payments gateway business in the U.K and Ireland. This acquisition is part of the Group’s strategy to help its business customers grow as the global economy becomes more digital. This acquisition saw Elavon expand their market share in the payment services business in the U.K and Ireland.
The Group places a high value on carrying on all aspects of its business with high ethical standards, going beyond any legal minimum, and regards its reputation as fundamental to its success.
The Group company carrying on the vast majority of the Group’s business activity in the U.K. is Elavon Financial Services DAC (“EFS”). EFS is an Irish headquartered bank carrying on business across Europe through a number of branches, including a U.K. branch.
EFS adopted HM Revenue & Customs (HMRC’s) Code of Practice on Taxation for Banks in 2013 and has complied fully with its requirements. The Code requires banks operating in the UK to adopt best practices in tax management and not to promote or knowingly facilitate tax avoidance by other parties, including that banks should:
As a result of the nature of the three business activities carried on in the UK, there are a broad range of UK tax payment and reporting obligations. The primary obligations for the UK entities fall under corporation tax, PAYE/NIC and VAT legislation.
Ultimate responsibility for compliance with UK tax law rests with the directors of the Group companies carrying on operations in the UK. Day-to-day responsibility for compliance is devolved to management through the companies’ Chief Executive Officers. As a general principle, line management who exercise control over a particular activity are responsible for ensuring that all legal and regulatory obligations arising from that activity are identified and fulfilled, with support from specialist expertise where required.
The Group’s approach is to apply appropriate levels of control and governance to UK tax matters, consistent with the approach it adopts to other matters involving compliance with the law and efficient financial and risk management. The Group seeks to ensure that management is enabled to fulfill all UK tax obligations and that tax management is subject to appropriate governance by maintaining a robust tax management framework, including:
The Group seeks to comply fully with all UK tax law while also refraining from engaging in any contrived or artificial tax planning arrangements with negligible business purpose.
In the course of managing tax risks, the Group continually takes account of the importance of the reputation of our business with our customers (current and future), counterparties, employees, regulators and other stakeholders.
Where any material element of UK tax law is identified as involving any significant degree of uncertainty the Group’s approach is generally to obtain external advice to inform the Group’s position.
In accordance with the Code of Practice on Taxation for Banks, the Group maintains a transparent relationship with HMRC. Across various interactions, EFS Tax Department’s approach to dealing with HMRC is to be responsive, interactive, constructive and engaging. To the extent that an occasional difference of opinion might arise, EFS Tax’s approach would be to seek to resolve it with HMRC through constructive discussion of the relative merits of the arguments in favour of each side’s position.
When the opportunity arises, we seek to update HMRC on relevant changes in the business and discuss tax issues of current relevance to the Group.
Overall, we see the maintenance of such a relationship with HMRC as an integral and important element of our approach to achieving high standards of compliance with UK tax law and sound management of all UK tax risk inherent in our businesses.
These entities are Elavon Financial Services DAC (UK Branch), US Bank Trustees Ltd, US Bank Nominees Ltd, US Bank Global Corporate Trust Limited, Elavon Digital Europe Limited and Elavon Digital GB Limited
Download 2022 EFS Tax Strategy
Download 2021 EFS Tax Strategy
Download 2020 EFS Tax Strategy
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Last Update: 31 December 2022
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Last update: April 2024
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Last update: April 2023
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