Taxpert Professionals BE IN THE KNOW!!!

Similar documents
IBFD Course Programme Tax Planning in Africa and the Middle East

ambavat jain & associates LLP chartered accountants

Cross Border Investments: Mergers and Acquisition and Choice of Jurisdiction

DEEPENDER ANIL & ASSOCIATES CHARTERED ACCOUNTANTS

INTERNATIONAL TAX STRUCTURING FOR INVESTING ADROAD INTERNATIONAL TAX CONFERENCE

Nishith Desai Associates 1

Dear Ms Mpotulo and Ms Collins

Corporate clients. Who is Maitland? Contents. maitlandgroup.com

Holding Company Structures and Cross Border Finance WIRC

The UK as a favoured location for Indian investments

Cyprus - Iran. The gateway to Iranian business

CYPRUS AS A GATEWAY FOR INDIAN CROSS BORDER TRANSACTIONS

Corporate clients. Who is Maitland? Contents. maitlandgroup.com

CYPRUS ARMENIA: The gateway to Armenian business

Tax Planning in the Middle East

CROSS BORDER MERGER & ACQUISITION By Mr Himanshu Srivastava and Mr Nitin Arora

Global Banking Service. Report on India

BDO ADVISORY LIMITED Tax Due Diligence and Tax Planning for M&A PAUL ASHBURN 8 AUGUST 2012

Mauritius: An Investment Gateway to Africa

Controlled Foreign Corporation

CYPRUS COMPANIES INFORMATION

INTERNATIONAL TAXATION

Received: 4 September Revised: 9 September Accepted: 19 September. Inflow of Foreign Direct Investment in India: An Analysis

Register now for your free, tailored, daily legal newsfeed service. Register

MAURITIUS A jurisdiction of choice

Investing in Africa through Mauritius

CANADA GLOBAL GUIDE TO M&A TAX: 2018 EDITION

TAXATION AND TECHNOLOGY TRANSFER: KEY ISSUES

Corporate clients. Who is Maitland? Contents. maitlandgroup.com

Cross Border Transactions Tax Aspects Refresher Course on International Taxation CA Anil Talreja 22 April 2017 ICAI 1

Doing business in the UK. Expansion into the UK - Considerations for US investors. Nick Farmer ACA CTA ATII

SIMPLIFIED RULES INTRODUCED FOR THE LISTING OF SPECIAL PURPOSE VEHICLES ON THE STOCK EXCHANGE OF MAURITIUS

International. Contact us to learn more about our International Tax practice. Partnering With Our Colleagues. U.S. corporate tax directors and

The Institute of Chartered Accountants of India - WIRC. Domestic & International Structuring issues in Estate Planning

BLACKSTONE ALTERNATIVE INVESTMENT FUNDS PLC. (the Company ) An umbrella fund with segregated liability between sub-funds, and its sub-fund

Mobile No: /

Deposit and Remittances Foreign Exchange Management Act, 1999

Structuring Investments into Africa: Tax and BITs Aspects

NEWSFLASH FEMA CROSS BORDER MERGER REGULATIONS ISSUED BY RBI. 4 April 2018 Background

Mongolia Tax Profile. Produced in conjunction with the KPMG Asia Pacific Tax Centre. Updated: June 2015

Establishing a joint venture in india An Overview

Foreign Investment FEMA provisions

ICAI NIRC. ODI, LRS, ECB & FEMA Updates. CA. Amithraj AN. April 25,

Setting up your Business in BVI Issues to consider

The Government of Mauritius issues GN 156 of 2016 in the view to enact changes to the double taxation agreement with India

Rawlinson & Hunter Singapore

Is Germany a Holding Haven?

Sri Lanka Tax Profile Produced in conjunction with the KPMG Asia Pacific Tax Centre

Cyprus - Ukraine. A long lasting inheritance

62 ASSOCIATION OF CORPORATE COUNSEL

Seasoned International Tax Professionals

Economic Landscape of South Africa

2014 Latin America Tax Summit

CNK RK. CNK RK & Co. New Delhi

THE INTERSECTION OF TAX & TREASURY

The UK as a holding company location

GST: Transitional Provisions

Financial Services Board Reinsurance Regulatory Review Project

Internationalising the SEM and positioning Mauritius as an international financial services centre of substance

Headline Verdana Bold International Tax matters ICPAU Tax Seminar, Hotel Africana November, 2017

FOREWORD. Mauritius. Services provided by member firms include:

The Indian Education Sector Navigating the Tax and Legal Framework WHITE PAPER FINANCE INDIA BRAZIL CHINA

The Institute of Cost Accountants of India (Statutory body under an Act of Parliament) Navi Mumbai Chapter

U.S. tax reforms prevention of base erosion. S. Krishnan

0 Uganda Fiscal Guide 2015/2016. Tax. kpmg.com

INDEX Interesting Global History Why do we need separate form of organisation? Comparison of existing options Who can prefer LLP? Who can not go for L

LABUAN IBFC ASIA PACIFIC S LEADING MIDSHORE IBFC

International Taxation perspectives and recent developments. Hitesh D. Gajaria 20 August 2016 WIRC DTAA Refresher Course

PwC International Business Reorganisations Network Monthly Legal Update Edition 8, August 2016

SUMMARY OF INTERNATIONAL TAX LAW DEVELOPMENTS

BLACKSTONE ALTERNATIVE INVESTMENT FUNDS PLC. (the Company ) An umbrella fund with segregated liability between sub-funds, and its sub-fund

Changes In International Tax Law

CHILE GLOBAL GUIDE TO M&A TAX: 2017 EDITION

Exchange of tax information: what does it change for Russian clients?

Fjji Tax Profile. Produced in conjunction with the KPMG Asia Pacific Tax Centre. Updated: June 2015

International Tax Greece Highlights 2018

Women in Tax Leaders

T H E C Y P R U S H O L D I N G C O M P A N Y A s e r i o u s c o n t e n d e r t o h o l d i n g c o m p a n y j u r i s d i c t i o n s

BRING IT ON HOME HOLDING COMPANIES & REPATRIATION STRATEGIES

India s Investment Environment August 2009

NZ Audit Limited. Chartered Certified Accountants

Proposed Changes to Ireland s Double Tax Treaties and the U.S. Perspective on MLIs. Chicago, Illinois 14 September ANNUAL MEETING

Tax Newsflash January 31, 2014

OVERSEAS DIRECT INVESTMENT

International Tax Greece Highlights 2019

FEMA Key aspect under FEMA Outbound investment. CA. M. Jagannathan WIRC presentation 22 nd September, 2018

Treasury Outsourcing Case Study: GeoLogistics Corporation

BUSINESS BRIEFING SEMINAR Mauritius: Opportunities for Jersey Trust Companies

2007 Update to Doing Business in China via the Cayman Islands

STRUCTURING INVESTMENTS INTO AFRICA THROUGH MAURITIUS/ESTATE PLANNING AND WEALTH MANAGEMENT FOR HIGH NET WORTH INDIVIDUALS IN EAST AFRICA (KENYA)

Offshore financial centers in the Caribbean: How do U.S. banks benefit?

Institute of Company Secretaries of India. Due Diligence under FEMA By: CA. Sudha G. Bhushan

GERMANY GLOBAL GUIDE TO M&A TAX: 2017 EDITION

AA& Associates. Setting Up >> LLP. business presence in india.

Subject Index. Canada: depreciation rules, ; generally accepted accounting principles, 202; inventory

Investors Agenda of Priority Points 2015

Investment Policy and Regulatory Framework in Nepal, FY ( )

International Tax South Africa Highlights 2018

T H E C Y P R U S F I N A N C E C O M P A N Y

Fiji Tax Profile. Produced in conjunction with the KPMG Asia Pacific Tax Centre. Updated: October 2016

Transcription:

Taxpert Professionals BE IN THE KNOW!!!

Holding company structures Africa via South Africa The decision to invest is an outcome of interplay of many factors like social, political, economic, technological which mainly impacts a business. Most of the multinationals or individuals aspiring to invest in a particular company look for the basic conditions like a good macroeconomic policy, adequate and well structured tax systems and a satisfactory environment for investments in the host country. South Africa remains the highest ranked country in Sub Saharan Africa attracting offshore investments. Its strength lies in the advanced financial market it possesses and the market size it possess. In recent times the South African government has endeavoured to create a stable environment for attracting investments with various policy amendments. One of the significant measures taken by the South African government is the introduction of Headquarter company regime (HQC). In most of the cases the decisions to establish a headquarter is driven by the quantum of tax benefits derived by the decision to do so. Many jurisdictions are popular for establishing holding and headquarter companies for multinational groups like Luxembourg, Netherlands, Switzerland, Singapore Mauritius etc. The reason behind the increasing demand for such establishments is its trait to attract offshore investments. International headquarter companies are often established where multinational groups of companies have significant economic interests. A new tax regime with respect to the Headquarter Companies was enacted in South Africa with effect from 1 January, 2011.The main purpose of introducing this new tax regime was to ensure that the extant tax regime did not act as a barrier to Multinational companies wishing to invest in Africa and also to make it a magnet attracting FDI from all over the world. A HQC in South Africa is subject to South African Corporate Income Tax (which is currently 28%) whereas it is exempt from dividend tax and capital gains tax and also from applicability of Controlled Foreign Company (CFC) and thin Capitalization rules. Additionally, Applicability of Transfer pricing regulations is also barred under the HQC regime.

This newly adopted regime is always compared to the well established (almost identical) concepts adopted by various countries around the globe especially Mauritius. Mauritius has established a number of regimes that provide attractive opportunities for companies to invest through Mauritius into other jurisdictions. Global Business Companies Category - 1 (GBC1) is one of the regimes available in Mauritius for resident corporations proposing to conduct business outside Mauritius. In order to establish a GBC1 it is mandatory to fulfill the requirements laid down under the Mauritian laws. These types of companies avail numerous tax benefits in Mauritius. For example, GBC1 companies are resident in Mauritius for tax purposes, there are no capital gains tax, no withholding tax on payment of dividends, interests or royalties, there is no stamp duties or capital taxes, the concept of inheritance tax is not applicable to this regime. Adding further to the plethora of benefits, Global Business Category 1 (GBC1) companies are liable to tax at the rate of 15%. However, they are entitled to a foreign tax credit equivalent to the higher of 80% of the Mauritius tax chargeable or the actual tax suffered abroad in respect of foreign-source income. The maximum effective tax rate is therefore 3%.

Comparative study of benefits offered by the HQC regime in South Africa and GBC 1 regime in Mauritius

Apparently, the Mauritian regime appears to be more beneficial for the purpose of investments due to its comparative low rate of taxation (as mentioned above). However, the total amount of off shore capital invested in Africa is relatively small but is growing rapidly, it clearly demonstrates the capacity of being the top-most HQC structure for routing investment. Its high market potential, well developed infrastructures and a reasonably competitive domestic economy is adding to its popularity and attracting investments from all over the world.

About Taxpert Professionals: Taxpert Professionals is a conglomeration of multi-diverged professionals known for providing concentrated services in relation to taxation and corporate laws in a seamless manner. Taxpert professionals believe in the creation of value through advising and assisting the business. At Taxpert the pool of professionals from different spectrum like tax, accountancy, legal, costing, management facilitate the conversion of knowledge into beneficial transaction. About CA. Sudha G. Bhushan : Sudha is qualified Chartered Accountant and a Company Secretary with more than a decade of experience in the Foreign Exchange Management Act, RBI, Transfer pricing and International taxation matters. She is a noted speaker and author. Her articles are regularly published in the Journals of several institutes and at various other forums and has authored the following books: Practical aspects of FDI in India published by Institute of Company secretaries of India. Due Diligence under Foreign Exchange Management Act, 1999 published by CCH. Comprehensive Guide to Foreign Exchange Management in two volumes published by CCH. Practical Guide to Foreign Exchange Management published by CCH, a Walter Kluwers company. Handbook on FEMA, Publication of Institute of Chartered Accountants of India. A scholar throughout her life she has been awarded many awards and recognitions including Women Empowerment through CA Profession by Northern India Regional Council (NIRC) of Institute of Chartered Accountants of India (ICAI). Backed by experience in International firms she has extensive experience of handling international transactions. She advises corporate as well as government authorities in lot of intricate transactions. Rendering tax and regulatory advisory services, she has overseen and played a crucial role in the execution of complex international transactions involving issues revolving around tax, repatriation, minimization of tax exposure, Foreign Investment (Inbound and outbound) etc.

She is on the Board of many esteemed listed companies as Independent director. She is member of Committee of International Taxation of WIRC, ICAI, Member of Editorial Committee of WIRC of ICAI and Committee of women empowerment of ICAI. She can be contacted at sudha@taxpertpro.com 09769033172