INTERNATIONAL TAX PLANNING KEMP MUNNIK Head of Tax: BDO South Africa INDEX • • • • • WHAT IS INTERNATIONAL TAX? GENERAL TERMS EXPANDING OPERATIONS ANTI AVOIDANCE ROLE OF INTERNATIONAL TAX PLANNER Facing the Challenges of Doing Business in Africa Page 2 WHAT IS INTERNATIONAL TAX? • DOES INTERNATIONAL TAX LAW EXIST? • INTERNATIONAL TAX - International aspects of domestic law - Study: different tax systems interact • TAX TREATIES • TWO PRINCIPLE ELEMENTS • Rules of International Organisational State belongs to, eg, WTO • Common principles adopted – majority of States Facing the Challenges of Doing Business in Africa Page 3 GENERAL TERMS • • • • • JURISDICTION TO TAX CORPORATE RESIDENCE DOUBLE TAXTION TAX TREATIES PERMANENT ESTABLISHMENT Facing the Challenges of Doing Business in Africa Page 4 JURISDICTION TO TAX • • Claims to taxing rights are based on 'connecting factors', typically: RESIDENCE of a taxpayer in a jurisdiction - Residents are generally taxed on their worldwide income • SOURCE of income within a jurisdiction - Trading profits, rents, interest, royalties, dividends etc • Some countries have different 'connecting factors' - e.g. the US imposes worldwide taxation of individuals based on citizenship, not residence Facing the Challenges of Doing Business in Africa Page 5 CORPORATE RESIDENCE (DOMESTIC LAW) • • • • - Important because it establishes primary taxing rights Residence country taxes on worldwide income Different countries use different criteria to establish residence Most common criteria: Incorporation Management and control Incorporation OR management and control Place of effective management Example: SA Incorporation OR central management and control The former is statutory; the latter has been developed by case law Day-to-day management activities Facing the Challenges of Doing Business in Africa Page 6 ESTABLISHING RESIDENCE • • • - Much international tax planning involves corporate residence Being resident in Country A NOT being resident in Country B Incorporation and similar tests are straightforward enough 'Management and control' type tests depend on the FACTS Tax authorities will look at each situation on its own facts Case law decisions are fact-heavy and there are some grey areas Correct implementation is vital Hard evidence, and plenty of it Facing the Challenges of Doing Business in Africa Page 7 DUAL RESIDENCE • It is possible to be resident in more than one country - Taxed on worldwide income in both - DTR may not be straightforward - Many countries have laws to prevent double use of losses • One valuable role of tax treaties is to allocate residence to only one of the treaty partners - 'Tie-breaker' clause - Most countries will follow this allocation for domestic tax purposes • Most tie-breakers turn on 'place of effective management' - Similar to the UK’s concept of 'central management and control' - OECD guidance - But watch recent treaty trend towards 'mutual agreement' Facing the Challenges of Doing Business in Africa Page 8 CHANGING RESIDENCE • • - - It is possible to move a company’s residence Also known as ‘migration’ or ‘emigration’ May be deliberate or accidental Typically involves moving the place of effective management Requires application of the law to the facts Has tax implications in both countries Departure from Country A - Exit taxes? - May accelerate tax return submission /payment dates Arrival in Country B - Base cost of assets - Tax registration requirements Facing the Challenges of Doing Business in Africa Page 9 DOUBLE TAXTION TYPES • Economic double taxation - Income taxed twice in the hands of different taxpayers • Juridical double taxation - Income taxed twice in the hands of the same taxpayer Facing the Challenges of Doing Business in Africa Page 10 DOUBLE TAXTION RELIEF FROM DOUBLE TAXATION • Credit or exemption • Unilateral relief • Treaty relief Facing the Challenges of Doing Business in Africa Page 11 TAX TREATIES • • • - International agreements Sovereign states Typically negotiated by tax authorities Based on model treaty OECD – favours the ‘residence’ state UN – favours the ‘source’ state US – famous for its ‘limitation on benefits’ clause Interpretation Determined by national courts, but according to international principles Should be interpreted in ‘good faith’, look at clear meaning of the treaty, unconstrained by national law Vienna Convention OECD Commentary Facing the Challenges of Doing Business in Africa Page 12 PERMANENT ESTABLISHMENT • The ‘business profits’ article gives sole taxing rights to the residence state UNLESS the profits are attributable to a Permanent Establishment in the source state • Therefore, if you don’t have a PE then the source state cannot tax your business profits made in that country • A common and vital question is “do/will we have a PE?” • The basic definition is in the treaty - Always check the actual treaty, as they do NOT always follow the model - There is more information in the model commentary - Reliance on the Commentary is subject to the earlier points about treaty interpretation - In any event, the Commentary can only be used to the extent that the wording in your treaty follows that of the model Facing the Challenges of Doing Business in Africa Page 13 WHAT IS A PERMANENT ESTABLISHMENT • • • - OECD Model Treaty recognises two separate types of PE Actual PE Deemed PE Actual PE Fixed place of business Through which The business of the enterprise Is wholly or partly carried on Deemed PE Dependent agent Authority to conclude contracts (sometimes 'do business’- wider) In the name of the enterprise Habitual exercise of that authority Facing the Challenges of Doing Business in Africa Page 14 EXPANDING OPERATIONS ISSUES TO CONSIDER • Location - Residence • Structure • Financing • Intellectual property • Transfer pricing • Profit repatriation • Withholding taxes on payments of money around the group • Gain on eventual sale • Other taxes Facing the Challenges of Doing Business in Africa Page 15 ANTI AVOIDANCE THINGS TO WATCH FOR • • • • • • • • • • • Controlled foreign company and similar provisions Transfer pricing Thin capitalisation restrictions Hybrid entities GAARs Disclosure rules Treaty overrides Payments to tax havens Trading losses Conduit arrangements And others… always take advice from a local tax specialist Facing the Challenges of Doing Business in Africa Page 16 ROLE OF INTERNATIONAL TAX ADVISOR • South African perspective - Advise residents: SA tax liability of foreign income Advise non residents: tax liability of SA sourced income • Domestic law knowledge – NB! • Raise questions: foreign countries taxing rights - ie, tax rates, withholding taxes, DTAs • Eliminate double tax • Advise on: - Relief measures available Anti avoidance measures Exchange Control requirements Non Tax factors Return on investment, legal admin systems and commercial and banking facilities, accounting laws, etc “Lawful avoidance of tax in any jurisdiction is the realisation of every taxpayers’ dream” (Huitson R) Facing the Challenges of Doing Business in Africa Page 17 QUOTATION “The Tax ‘tail’ should not wag the commercial ‘dog’. Once the decision to invest has been made, however tax is an important factor in determining the way in which the investment should be structured.” - Arnold & McIntyre (2002)10 Facing the Challenges of Doing Business in Africa Page 18 BDO SOUTH AFRICA Roxanna Nyiri Tax Director BDO South Africa Independent 3rd Parties JPS GROUP CASE STUDY Royalty JPS South Africa Manufacturer Investment ??? – Owns Intellectual Property Product JPS Mauritius Export Raw Materials JPS Botswana JPS Uganda JPS Zambia ??? Headquarter Company location Distribution Facing the Challenges of Doing Business in Africa Page 20 Independent 3rd Parties INTERNATIONAL TAX PLANNING OBJECTIVES • To divert, extract and distribute profits out of high tax paying jurisdictions • Ensure that connecting factors i.e. residence/presence do not arise in high tax paying jurisdictions • Avoid double tax • Minimise global tax liability Facing the Challenges of Doing Business in Africa Page 21 JPS EXAMPLE High Tax South Africa 28% Returns Zambia 35% Uganda 30% Contract Manufacturer / Agent Risk Low Tax Returns Mauritius Tax incentive co Risk 15% 3% Botswana 15% - 22% Facing the Challenges of Doing Business in Africa Page 22 Fully Fledged manufacturer Distributor Intangibles Centralised Services INTERNATIONAL TAX ISSUES IN SA • Substance over form • Source/deemed source • Section 9D • Residence • Section 31 • DTA effects • General anti avoidance Facing the Challenges of Doing Business in Africa Page 23 SUBSTANCE OVER FORM • Is there substance to the offshore entities or are they merely post box companies? • Are there premises, resources, employees and capital infrastructure in the offshore entities? 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