Tullow Gains on $320 Million Ghana Tax Arbitration Case Win

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(Bloomberg) — Tullow Plc gained after an international body found it wasn’t liable for a $320 million tax assessment in Ghana, where its key oil assets are located.

The the International Chamber of Commerce said the tribunal found the branch profit remittance tax assessment by the West African nation “falls outside of the tax regime provided for in the petroleum agreements,” according to a Tullow statement published late on Thursday. The company filed a request for arbitration in 2021.

Shares rose as much as 13% to 24.76 pence as of 8:08 a.m. in London trading. 

Ghana handed back-tax demands to some of the biggest companies operating there including MTN Group Ltd., Gold Fields Ltd. and Kosmos Energy Ltd. in recent years. The country was seeking additional revenue after losing access to international capital markets because of its ballooning debt and loan-service costs.

The ICC announcement is a boost for Tullow after Chief Executive Officer Rahul Dhir said he would step down and Kosmos Energy dropped a bid for the explorer following “very preliminary discussions” around a deal. 

Tullow still has two remaining disputed tax assessments from the Ghana Revenue Authority for which it filed requests for arbitration with the ICC. They relate to loan interest over a decade and business interruption insurance proceeds it received. Those assessments total $387 million plus penalties, Tullow said in 2023. 

“I look forward to constructive discussions with the government of Ghana to resolve the remaining claims,” Dhir said in the statement.

More stories like this are available on bloomberg.com

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