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TAX TREATY: Investment Funds Planning

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Title: TAX TREATY: Investment Funds Planning


1
TAX TREATYInvestment Funds Planning
Mohammad Akshar MaherallyInternational Financial
Services Limited
2
SETTING THE SCENEThe Current Economic
Environment
  • Collapse of household names in the financial
    industry
  • Global Economic Recession
  • Massive Unemployment
  • Fingers pointed at OFCs for the debacle
  • G20 Summit Crackdown on OFCs
  • OFCs accused of encouraging capital flight from
    poor countries

3
INVESTMENT FUNDS PLANNINGImplications of Current
Environment
Recession
Collapse of Financial institutions
Unemployment
INCREASED GOVT SPENDING
Credit Crunch
4
INVESTMENT FUNDS PLANNINGImplications of Current
Environment
  • The correct spelling of the word aid is
    T-A-X
  • Trevor Manuel,
  • Ex - South African Finance Minister

5
INVESTMENT FUNDS PLANNINGImplications of Current
Environment
  • Closer scrutiny of investment transactions by tax
    authorities from investee jurisdictions
  • Aggressive role of taxman within OFCs
  • Tighter tax laws / regulations in both investor
    and investee jurisdictions

6
IMPLICATIONSCloser scrutiny of transactions
  • China
  • Chongqing case Taxing a transaction outside
    Chinese jurisdiction

7
IMPLICATIONSCloser scrutiny of transactions
  • Xinjiang Case Denial of Treaty Benefits to
    Barbados Company

8
IMPLICATIONSCloser scrutiny of transactions
  • India is also a land of opportunity.
  • Everyone can become a tax payer
  • Anonymous

9
IMPLICATIONSCloser scrutiny of transactions
  • India
  • Vodafone case
  • Transaction involving two non-Indian residents
    carried out outside India
  • ETrade Mauritius case
  • Transaction carried out by a treaty-protected
    entity
  • Aditya Birla Nuvo case
  • Tax authorities coming back on their decision
    for a NIL withholding tax on capital gains

10
IMPLICATIONSAggressive role of taxman in OFCs
  • Mauritius
  • Deductibility of Management / Advisory fees
    incurred by Investment Funds
  • Strict application of Sections 18 and 26 of the
    Income Tax Act
  • Tax ruling carried interest earned by
    Mauritius-based Investment Manager
  • Review of previous income tax returns at
    winding-up stage

11
IMPLICATIONSTighter Tax Laws / Regulations
  • US
  • Obamas tax proposals
  • Check-the-box elections
  • Blocker corporations
  • Proposed legislation on carried interest
  • Income and gains earned by Fund managers as
    carried interest characterized as compensation
    income and taxed at ordinary income tax rates
  • Stop Tax Haven Abuse Bill
  • Any foreign corporation managed and controlled
    in the US taxed as a domestic corporation

12
IMPLICATIONSTighter Tax Laws / Regulations
  • Cyprus
  • New Protocol to Cyprus-Russia treaty
  • Gains on sale of shares held by Cypriot company
    in Russian company taxable in Russia if over 50
    of assets in Russian real estate
  • China
  • Major changes in Chinese tax landscape
  • Enterprise Income Tax Law
  • Implementation guidelines

13
CHANGES IN CHINESE TAX LAWS
  • Tax residency in China extended to cover foreign
    corporations effectively managed from China
  • Dividend withholding tax exemption for Foreign
    Invested enterprises withdrawn
  • Credit against chinese tax on dividends from
    foreign subsidiaries
  • CFC rules introduced
  • Thin capitalisation rules
  • Ability of the tax authorities to collect unpaid
    withholding taxes from the taxpayers other
    China-sourced income

14
CHANGES IN CHINESE TAX LAWSImplementation of
Dividend ArticlesIn China Tax Treaties
  • 10 withholding tax under domestic law can be
    reduced under treaty provided that
  • - The recipient of the dividends is a tax
    resident of the treaty partner jurisdiction
  • - The recipient of the dividends is the
    beneficial owner of the dividends
  • - The dividend income must be regarded as
    dividend / equity income under domestic tax law
  • Holding period 12-months period preceding the
    receipt of dividends

15
INVESTMENT FUNDS PLANNING Demise of Tax
Planning via OFCs?
  • "How much safer would everybody's savings be if
    the whole world finally came together to outlaw
    shadow-banking systems and offshore tax havens?"
  • Gordon Brown
  • Can emerging economies do without OFCs for their
    FDI requirements?
  • India Mauritius, Singapore Cyprus account
    for 60
  • China Top 10 investors include Hong Kong, BVI,
    Singapore, Cayman Islands and Mauritius (69
    of total FDI)

16
INVESTMENT FUNDS PLANNING Demise of Tax
Planning via OFCs?
  • Consequence of globalisation Multinational
    investors always on the look-out for a suitable
    investment platform
  • Investors always seek to maximise post-tax
    returns - even more relevant in this climate of
    economic recession and financial chaos
  • Tax planning via OFCs remains an important driver
    of investment, economic growth and enhanced
    standard of living

17
INVESTMENT FUNDS PLANNING What has to change?
  • Traditional routes may not be as useful anymore
  • Preference for treaty-based jurisdictions
  • - Residence
  • - Permanent Establishment
  • - WHT rates
  • - Tax credits
  • Golden Rules of Tax Planning

18
INVESTMENT FUNDS PLANNING Going Back to Basics
  • Secure treaty protection
  • Avoid mere reliance on TRCs
  • Establish beneficial ownership of assets
  • Keep away from PEs
  • Avoid transfer pricing issues

19
INVESTMENT FUNDS PLANNING Going Back to Basics
  • Careful on documentation drafting
  • Decision-making process
  • Avoid treaty shopping labels
  • Build substance / value added
  • Conduct regular compliance audits from
    international tax perspective

20
Concluding Note
The avoidance of taxes is the only
intellectual pursuit that still carries any
reward John Maynard Keynes

21
Thank You
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