Title: Deloitte template
1Taxation of Leasehold Investments Future
implications for Lessor and Lessee Profits tax
aspects.
Olga Belousova Senior Manager obelousova_at_deloitte.
ru 7 (095) 787 0600 ext. 2067 November 10, 2005
2Amendments to the list of depreciable property
Article 256.1
- Amendments to the Profits tax legislation
according to the Law 58-FZ - Effective starting from January 1, 2006
- Inseparable capital improvements into the leased
fixed assets made by the tenant (lessee) by
consent of the landlord (lessor) will be
considered as depreciable property - Conclusions
- Taxpayers will be able to depreciate inseparable
capital improvements if these improvements are
made by consent of the landlord (lessor) - If inseparable capital improvements were made
without consent of the landlord then the property
would not be depreciable -gt no deductibility for
the tenant (lessee) and possible risk of
non-sales income for the landlord
3Depreciation rules with respect to inseparable
capital improvements Articles 258.1 259.2
- Effective starting from January 1, 2006
- If the landlord (lessor) reimburses expenses on
capital improvements to the tenant (lessee), then
the cost of capital improvements will be
depreciated by the landlord according to the
norms of the Chapter 25 of the Tax Code after
reimbursement of expenses and after putting the
property into operation - Conclusion
- The further period of depreciation for the
landlord - - depends on the period during which the object
of fixed assets has been depreciating - - landlord may change useful life of the object
up to maximum term provided for the same
depreciation group
4Depreciation rules with respect to inseparable
capital improvements (II)
- If the landlord does not reimburse expenses on
capital improvements to the tenant, then the cost
of capital improvements will be depreciated by
the tenant over the term of the lease contract
using depreciation rate based on the useful life
of the fixed asset (Regulation 1) after putting
the property into operation - Conclusion
- For the tenant (lessee) if the period of the
lease contract is less then the useful life of
the fixed asset -gt - - For the landlord (lessor) there is a risk
that non-depreciated improvements may be treated
as non-sales income at market level - - For the tenant (lessee) there is a risk that
inseparable capital improvements will be only
partially deductible - Risks may be mitigated if the lease contract
contains provisions on buy-out of
non-depreciated capital improvements by the
landlord from the tenant at the end of lease
period
5Possible application of new norms on depreciation
of inseparable capital investments to financial
lease
- Amendments generally refer to rent, however, they
may be applicable to financial lease (leasing) - e.g. the property is on the balance of the
lessor -gt inseparable capital improvements into
the leased fixed assets made by the lessee may be
treated as mentioned above - the property is on the balance of the lessee -gt
uncertainties as there is no special regulation
in this respect starting from January 1, 2006 - Consequences resulted from buy-out of the leasing
object by the lessee
6Immediate deductibility of 10 of capital
investments Article 259,1.1
- Effective starting from January 1, 2006
- Landlords will be entitled to deduct immediately
costs of capital investments from the Profits tax
base in the amount not exceeding 10 of the
historical value of - costs of additional construction, additional
equipment, modernization, technical re-equipment,
partial liquidation of fixed assets - Conclusion
- This norm is applicable to owners of fixed
assets - Possibility of immediate deduction of some costs
on capital investments by the landlord positive
effect similar to accelerated depreciation
7Contact information
- Olga Belousova
- Senior Manager
- Tax Legal Services
- Direct 7 (095) 580-9685
- Main 7 (095) 787 0600 ext. 2067
- Fax 7 (095) 787 0601
- obelousova_at_deloitte.ru
- www.deloitte.ru
- Deloitte
- Business Center "Mokhovaya"
- 4/7 Vozdvizhenka St., Bldg 2
- Moscow 125009
- Russia
8Member of Deloitte Touche Tohmatsu