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INCOME TAXES
3 Months Ended
Mar. 29, 2014
INCOME TAXES  
INCOME TAXES

(14)                          INCOME TAXES

 

Unrecognized Tax Benefits

 

As of March 29, 2014, we had gross unrecognized tax benefits of $119.3 (net unrecognized tax benefits of $78.1), of which $77.5, if recognized, would impact our effective tax rate from continuing operations.

 

We classify interest and penalties related to unrecognized tax benefits as a component of our income tax provision. As of March 29, 2014, gross accrued interest excluded from the amounts above totaled $13.3 (net accrued interest of $9.3). Penalties excluded from the amounts above were $7.1 as of March 29, 2014.

 

Based on the outcome of certain examinations or as a result of the expiration of statute of limitations for certain jurisdictions, we believe that within the next 12 months it is reasonably possible that our previously unrecognized tax benefits could decrease by approximately $50.0 to $60.0. The previously unrecognized tax benefits relate to a variety of tax issues, including tax matters relating to deemed income inclusions, transfer pricing, and various state matters.

 

Other Tax Matters

 

For the three months ended March 29, 2014, we recorded an income tax provision of $159.7 on $456.1 of pre-tax income from continuing operations, resulting in an effective tax rate of 35.0%.  This compares to an income tax benefit for the three months ended March 30, 2013 of $0.4 on $14.2 of pre-tax income from continuing operations, resulting in an effective tax rate of (2.8)%. The most significant item impacting the effective tax rate for the first quarter of 2014 was the U.S. income taxes that were provided in connection with the $491.2 gain that was recorded during the quarter on the sale of our interest in EGS. The effective tax rate for the first quarter of 2013 was impacted favorably by income tax benefits of (i) $3.2 associated with the Research and Experimentation Credit generated in 2012 and (ii) $2.0 related to various foreign tax credits.

 

We perform reviews of our income tax positions on a continuous basis and accrue for potential uncertain positions when we determine that an uncertain position meets the criteria of the Income Taxes Topic of the Codification. Accruals for these uncertain tax positions are recorded in “Income taxes payable” and “Deferred and other income taxes” in the accompanying condensed consolidated balance sheets based on the expectation as to the timing of when the matters will be resolved. As events change and resolutions occur, these accruals are adjusted, such as in the case of audit settlements with taxing authorities.

 

Our federal income tax returns for the 2008 through 2012 tax years are subject to examination. The IRS is currently auditing the 2008 to 2011 tax return years. With regard to all open tax years, we believe any contingencies are adequately provided for.

 

State income tax returns generally are subject to examination for a period of three to five years after filing the respective tax returns. The impact on such tax returns of any federal changes remains subject to examination by various states for a period of up to one year after formal notification to the states. We have various state income tax returns in the process of examination, administrative appeal or litigation. We believe any uncertain tax positions related to these examinations have been adequately provided for.

 

We have various foreign income tax returns under examination. The most significant of these are in Denmark for the 2006 to 2010 tax years and South Africa for the 2005 to 2010 tax years. We believe that any uncertain tax positions related to these examinations have been adequately provided for.

 

An unfavorable resolution of one or more of the above matters could have a material adverse effect on our results of operations or cash flows in the quarter and year in which an adjustment is recorded or the tax is due or paid. As audits and examinations are still in process or we have not yet reached the final stages of the appeals process, the timing of the ultimate resolution and any payments that may be required for the above matters cannot be determined at this time.