Ireland Tax Alert. Finance Bill 2012 generally positive for companies. Special Assignee Relief Program. International Tax. 9 February 2012.

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1 International Tax Ireland Tax Alert Contacts Joan O Connor joconnor@deloitte.ie Declan Butler debutler@deloitte.ie Paul Reck preck@deloitte.ie Deirdre Power dpower@deloitte.ie Conor Hynes chynes@deloitte.ie Lorraine Griffin lorgriffin@deloitte.ie Michael Sheehan micsheehan@deloitte.ie Olivia Waldron owaldron@deloitte.ie US ICE Louise Kelly louikelly@deloitte.com Fiona Swan fswan@deloitte.com AP ICE Enwright De Sales edesales@deloitte.com 9 February 2012 Finance Bill 2012 generally positive for companies Finance Bill 2012, introduced to the Irish Parliament on 8 February 2012, largely includes measures already announced in the budget on 6 December The key measures from an Irish company perspective relate to incentives to encourage assignees and research and development (R&D) personnel to work in Ireland and to encourage Ireland-based employees to travel to the BRIC (Brazil, Russia, India, China) countries and South Africa to expand Irish business. A number of other positive corporate measures and enhancements for the financial services industry have been introduced, which are welcome. Special Assignee Relief Program A new Special Assignee Relief Program (SARP) is introduced to help multinational and Irish companies attract key talent into Ireland. The relief provides for a reduction of the taxable employment income of a qualifying individual of an amount equal to 30% of the excess of EUR 500,000 (or the individual s qualifying employment income if less) over EUR 75,000. Essentially, only 70% of the qualifying employment income over EUR 75,000 and below EUR 500,000 is taxable, giving rise to an Irish effective income tax rate of about 30% on this income. The relief applies to an individual who, for the 12 months before his/her arrival in Ireland, worked as an employee for a company that is incorporated and tax resident in a country that has concluded a tax treaty with Ireland (Ireland has about 65 treaties) and who arrives in Ireland in 2012, 2013 or 2014 at the request of his/her employer to work in Ireland and who works in Ireland for a consecutive period of at least 12 months for that employer or an associated company. The individual cannot have been tax resident in Ireland for any of the five previous consecutive years. The individual must be tax resident in Ireland and not elsewhere for the years in which he/she claims the relief, and the relief is available for a period of five consecutive years. There is also tax relief for an annual trip home and school fees paid by the employer.

2 There appears to be some gaps in the interaction of this relief with the preexisting reliefs, which we assume will be remedied before the bill is enacted. Foreign earnings deduction Details of the foreign earnings deduction, announced in the budget, for certain outbound employees/directors are included in the bill. The relief provides for a maximum EUR 35,000 deduction from the taxable income of an individual from an office or employment where the employee or director spends at least 60 days working in the BRIC countries and South Africa. To qualify for the relief, the individual must spend at least 10 consecutive days in one of these territories for those days to be regarded as qualifying days. The scheme will operate for three years from unless further extended in later Finance Acts. Relief for key employees engaged in R&D A welcome new relief is introduced to enable a company that carries on R&D activities to surrender part of the R&D tax credit to certain employees. The maximum amount the company can surrender is the lesser of the corporation tax of the company for the period and the R&D tax credit for the period. The maximum relief the individual can be allocated in any year is restricted to a level that would reduce the individual s total income (including where the individual is jointly assessed to tax the income of his/her partner/spouse) to no lower than 23%. To qualify for the relief, the individual must spend at least 75% of his/her time on the conception or creation of new knowledge, products, processes, methods and systems; at least 75% of the costs of his/her employment costs must be qualifying costs for the purposes of the R&D tax credit regime; he/she cannot be a director, nor be connected with a director, of the company or an associated company; and he/she cannot own or have any future rights to own 5% or more of the ordinary share capital of the company. The relief is therefore targeted at larger enterprises where the R&D personnel are employees of the company and not the owners/entrepreneurs. It is a welcome incentive and should assist multinational groups in attracting highly qualified scientists or engineers to Ireland advancing the knowledge economy. Innovation and R&D A number of changes are made to the R&D tax credit regime. The changes include: The first EUR 100,000 of qualifying R&D activities will qualify for the 25% credit on a volume basis (i.e. no comparison with the 2003 base year will be required for R&D up to this level); The limit up to which outsourced R&D can qualify for the R&D tax credit is being increased to the higher of the 5% or 10% limit, as applicable, and EUR 100,000; A new requirement on the claimant to notify a subcontractor that a payment is subject to an R&D tax claim in order to preclude the subcontractor from making a claim for the same work;

3 Group relief Payments to third parties for R&D activities that are not classified as subcontracted R&D are now excluded expenditure for purposes of the R&D tax credit. This is likely to apply, for instance, to payments for a specialist test that is not an advance in science or technology in itself; and The disallowance of expenditure met by the state is extended to include expenditure met by other EU member states. An unexpected but very welcome amendment is the extension of group relief provisions to include Irish subsidiaries in a group where a direct or indirect parent company is tax resident outside the EU but in a country that has concluded a tax treaty with Ireland or, where the company is not so resident, where the principal class of shares in the company are quoted on a recognized stock exchange in an EU/tax treaty jurisdiction. Group relief currently applies only to companies within an EU/EEA resident group of companies. Inbound dividends The 12.5% tax rate applicable to certain dividends paid out of trading income of companies that are tax resident in an EU/treaty country is extended to cover dividends from countries that have ratified the Convention on Mutual Assistance in Tax Matters. The only country that would be on that list that does not currently have a signed tax treaty with Ireland is Azerbaijan. However, there may be additional signatories to the Convention in future, in which case the provision may have wider application. Royalty Pooling The bill expands the relief available for foreign tax suffered on certain royalty income. Where the royalties are received as part of the trading income of the company on or after 1 January 2012 from persons not resident in the state, any unrelieved foreign tax on those royalty streams can be used to reduce the taxable income arising from other foreign royalties in the same accounting period. This applies whether or not the royalties are received from an EU/treaty resident. Although a full pooling of credits would have been more beneficial, this is a welcome move in the right direction. Start-up companies exemption As the Minister announced in the Budget, the corporate tax exemption for start-up companies for the first three years of trading is extended for an additional three years to include new trades commencing in 2012, 2013 and This measure should encourage those considering starting a business in Ireland to do so, where the expected profits in the early years will be in the region of EUR 320,000 per year. Emissions allowances The Finance Bill includes measures, not previously announced, outlining the tax treatment of the disposal of emissions allowances. Where allowances are purchased by a company for the purposes of a trade, a tax deduction will be available for the costs incurred as a trading expense. Where excess purchased allowances are subsequently disposed of, any gain on disposal will be taxed as a

4 trading receipt at the 12.5% rate of corporation tax. However, where a company disposes of part or all of the free allocation of allowances that were awarded to the company as part of the national allocation plan, the disposal of these credits will be taxable under the capital gains tax rules with gains taxable at 30%. This treatment applies for disposals made on or after 8 February It is unfortunate that such a blanket approach was taken to the disposal of free allowances because certain companies will only have achieved a surplus by virtue of energy efficiency measures implemented in their businesses. Further Revenue guidance is expected on the taxation of emissions allowances transactions in due course. International financial services Corporate treasury and leasing sectors benefit from measures to allow them to transact with a greater range of territories and still get the benefit of a tax deduction or double taxation relief. The insurance and funds sectors benefit from enhancements that allow greater flexibility in group structures and the use of losses and mergers and reorganizations. Securitization and Islamic finance also feature among the changes in the bill. The overall sense of the accumulation of measures in the Finance Bill is that they will support and enhance the ability of existing financial services companies to retain and expand their businesses in a competitive market. There are no major new initiatives that will impose a cost on the exchequer. Nonetheless, all the measures make it easier to do financial services business in Ireland and this is welcome. Capital gains tax The capital gains tax incentive on the purchase of property has been included in the bill as indicated by the budget. Essentially to encourage activity in the property market, a new incentive is introduced whereby property purchased during the period 7 December 2011 to 31 December 2013 and held for at least seven years will not be subject to any capital gains tax on disposal on the gain attributed to that seven-year period. This incentive will impact both Irish residents and nonresidents. It may be of particular interest to those currently assessing the Irish property market, such as private equity companies, and projecting some level of recovery over the next seven years. It should be noted that the relief applies to property purchased in an EEA member state, although local taxation in the state of disposal may apply in those cases.

5 Security Legal Privacy Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited, a UK private company limited by guarantee, and its network of member firms, each of which is a legally separate and independent entity. Please see a detailed description of the legal structure of Deloitte Touche Tohmatsu Limited and its member firms. Deloitte provides audit, tax, consulting, and financial advisory services to public and private clients spanning multiple industries. With a globally connected network of member firms in more than 150 countries, Deloitte brings world-class capabilities and deep local expertise to help clients succeed wherever they operate. Deloitte's approximately 182,000 professionals are committed to becoming the standard of excellence. This publication contains general information only, and none of Deloitte Touche Tohmatsu Limited, its member firms, or their related entities (collectively the Deloitte Network ) is, by means of this publication, rendering professional advice or services. Before making any decision or taking any action that may affect your finances or your business, you should consult a qualified professional adviser. No entity in the Deloitte Network shall be responsible for any loss whatsoever sustained by any person who relies on this publication Deloitte Global Services Limited

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