TAX IMPLICATION OF BREXIT REFERENDUM

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Issue 8 / 2016 International Tax, Audit, Accounting and Legal News TAX IMPLICATION OF BREXIT REFERENDUM July 2016 This document has been prepared by professional teams of Ecovis Hellas. It contains information in summary form and is therefore is intended for general guidance only. It is not intended to be a substitute for detailed research or the exercise of professional judgement. Neither Ecovis Hellas nor any other member of Ecovis global can accept any responsibility for loss occasioned to any person acting or refraining from action as a result of any material in this publication. On any specific matter, reference should be made to the appropriate advisor. The information contained herein do not constitute a substitute for professional specialized advice.

TAX IMPLICATION OF BREXIT REFERENDUM SUMMURY INTRODUCTION 23 JUNE 2016: 51,89% of the UK voters choose the detachment of UK from the EU UK invokes art.50 of TEU and triggers the future tax and legal aftermaths of an EU member State exit Actual results of UK exit will be shown after the 2year adaptive period Tax effects supposed to be significant for the future business life of the multinational- national enterprises, investors and the common labor force of the companies and industries Expected changes to the fields of Indirect Taxing (major impact), EU Law (ECJ case law, EU directives and regulations), transfer pricing, social and administrative authority www.ecovis.com 2

Indirect Taxes 1. Custom duties British Exit from the common tariff system of imports of Non-EU members and imposition of customs duties to the goods exportation system of UK. A significant & expensive effect on the UK trading system, considering the number of British exportations of goods (50% of the totality of the national goods exportation is to other EU member States) World Trading Organization: its future crucial role in the tariff rules and duties, under the legislative absence of the EU authorities Is there a Necessity for a new, national legal implementation on customs duties, due to the lack of EU Treaty laws? 2. VAT Financial restructuring of a new VAT system, (17% of the government receipts originated from the British VAT system- highly difficult to be abolished) Probable wide ranging differences between the EU VAT legally binding system and UK national VAT rules, applicable to specific goods and services, due to the absence of the EU VAT Directive The leaving vote leads to the imposition of a VAT debit policy on importations between UK and EU members Cash flow costs of corporations due to the time-delay between the chargeable importations and the recovery of VAT and increased compliance costs during the trading of EU members 3. Excise Duties Lack of a minimum legally binding rate of excise duties, imposed by EU Intra-EU trading laws no longer compulsory to the importation and exportation of excise goods between EU and UK 19/7/2016www.ecovis.com Mustera 3

Primary and Secondary Sources of EU Law & State Aid 1. UK Legal and financial system (e.g. tax regulations, corporate law) no longer supervised by the provisions of EU Treaty and the case law provided by the European Court of Justice (ECJ) 2. Brexit vote would contravene to the implementation of the conventional and juridical protection of the fundamental freedoms of the EU Law (free transfer of goods, services, capitals and people) 3. Separation of UK taxation from corporation and business state aid control on selective financial advantages granted to enterprises and investors, through the State intervention, distorting the European competition rules 4. UK has the chance to interact foreign investments, without any limitations and rules. However, British residents and future investors are completely helpless opposite the selective and advantageous State aid provisions of other EU States www.ecovis.com 4

Corporate Tax Directives Brexit vote terminates the effective application of the: a) Parent Subsidiary Directive which exempts dividends and other profit distributions paid by subsidiary companies of a member state to their parent companies in another member of EU from withholding taxes and eliminates double taxation of such income at the level of the parent company b) Interest and Royalties Directive - termination of the beneficial tax exemption for interest and royalties paid by a UK company or an establishment to an associated company of an EU State. UK, now, has to cope with a more expensive intra-group financing c) Merger Directive and its removal of the fiscal obstacles to the crossborder reorganization including corporations ( mergers, divisions, partial divisions etc), without any protection against the problem of direct taxing, without any deferral of the taxes that could be charged on the difference between the real value of such assets and liabilities and their value for tax purposes www.ecovis.com Mustera 5

Social Security Social security uprising issues, concerning the establishment of cross-border employees, and especially the migrant labor force of British corporations and industries UK rejects the former binding terms of Secure Laws such as EU Regulation No 883/2004, Regulation No 987/2009, Regulation 456/2013 Transfer Pricing After Brexit, the installment of the force of Arbitration Convention into UK is challenged and UK faces the nightmare of the lack of guarantee of a resolution of disputes where double taxation occurs between enterprises of different Member States as a result of an upward adjustment of profits of an enterprise of one Member State. 19/7/2016www.ecovis.com Mustera 6

THE POST- EXIT SHIPPING OPPORTUNITY The relationships between Britain and EU during the 2year adaptive period will determine the route of the shipping worldwide Tax reformations and more competitive tax systems are expected to attract shipping companies (otherwise if tax system stays the same - London will follow the example of NY during the 60s) City would become the biggest off shore base globally, in case of adopting favorable tax system. GREEK S ECONOMY AFTER BREXIT Britain leaving the EU affects Greece in three main areas: 1. ECONOMY : Unpleasant aftereffect on real estate, tourism and Greek exports, as well as the income of a large number of Greek households with members studying or working in the UK, regarding the devolution of the pound 2. POLITICS : British exit from EU could pressure the bloc to decide whether it wants more or less Europe Grexit would be a possible scenario as a potential solution to the crisis & the tough austerity measures 3. SOCIETY : Greeks lose one of their most popular alternatives for employment and residency. A large number of Greeks abroad would be forced to return to unemployment-hit Greece. Greece would have to receive a fresh wave of migrants this time Greek nationals. 19/7/2016www.ecovis.com Mustera 7

Conclusion Summarizing the foreseeable implications of the UK exiting the Union will be on indirect taxes, VAT system and European statutory legislation. Despite this, the post Brexit tax consequences will depend on Britain EU relationship during the 2year adaptive period. For the moment, the future role and position of UK inside - outside of EU cannot be estimated; following the example of neutral Switzerland or adapting a status of a non Member State. Presently, Britain - as well as the other Member States - are counting on the binding terms of the agonizing tax financial political - divorce between UK and EU, and its effects into the field of the business life and corporate system. 19/7/2016www.ecovis.com Mustera 8

About Ecovis services: Ecovis is a leading global consulting firm with its origins in Europe. It has over 4,500 people operating in over 50 countries. Its consulting focus and core competencies lie in the areas of tax consultation, About Ecovis services: auditing and accounting, legal advice and management consulting Ecovis services. is a leading global consulting firm with its origins in Europe. It has over 4,500 people Ecovisoperating Hellasin over brings 50 countries. a surprising Its consulting range focus and of core focus, competencies experience lie in and the areas tax consultation, auditing and accounting, legal advice and management professional expertise. We are comfortable dealing with the needs of consulting services. inbound Multinational Groups and Listed Companies as well as fast growing, entrepreneurial businesses. We deliver what we say we will, within agreed deadlines and agreed fee arrangements. We provide Ecovis Hellas brings a surprising range of focus, experience and professional expertise. We are comfortable dealing with the needs of inbound Multinational Groups and Listed Companies as well as fast growing, entrepreneurial businesses. We deliver what we say we will, within agreed deadlines and agreed fee arrangements. We provide services in the services fields of: in the fields of: Audit & Assurance & Assurance Tax VAT Customs & Duties & Duties Accounting & Book & Book keeping keeping Services Services Tax Support for Corporate for Corporate Clients Clients Net-worth Individuals & Private Clients High Net-worth Individuals & Private Clients Tax Planning International Tax Planning Payroll services Payroll services Business Advisory Services Business Advisory Services In case you have further questions please contact us: ECOVIS Hellas Tax Advisors: 44 Syggrou, 117-42 Athens, Greece Tel.: +30 210 3842325 Fax No: +30 210 3842327 Internet: www.ecovis.gr Leventakis, Dimitrios Partner, Tax Advisor Koutra, Antonia Tax Lawyer athenstax@ecovis.com E-Mail: dimitrios.leventakis@ecovis.gr,, athenstax@ecovis.com About Ecovis Ecovis is a leading global consulting firm with its origins in Continental Europe. It has over 4,500 people operating in over 50 countries. Its consulting focus and core competencies lie in the areas of tax consultation, accounting, auditing and legal advice. The particular strength of Ecovis is the combination of personal advice at a local level with the general expertise of an international and interdisciplinary network of professionals. Every Ecovis office can rely on qualified specialists in the back offices as well as on the specific industrial or national know-how of all the Ecovis experts worldwide. This diversified expertise provides clients with effective support, especially in the fields of international transactions and investments from preparation in the client s home country to support in the target country. In its consulting work Ecovis concentrates mainly on mid-sized firms. Both nationally and internationally, its one-stop-shop concept ensures all-round support in legal, fiscal, managerial and administrative issues. The name Ecovis, a combination of the terms economy and vision, expresses both its international character and its focus on the future and growth. www.ecovis.com 9