32nd Annual Asia Pacific Tax Conference November 2016 JW Marriott Hotel Hong Kong

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CHAPTER 1 INTRODUCTION TO CUSTOMS DUTIES

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32nd Annual Asia Pacific Tax Conference 10 11 November 2016 JW Marriott Hotel Hong Kong

2 Tax and trade implications of Brexit Impact and what to expect Chair: Matthew Lovatt, London Antonio Russo, Amsterdam Frederick Burke, Ho Chi Minh Joshua Odintz, Washington DC

Brexit Setting the Scene What happened, why, and when will it take effect? WHAT Non-binding vote (advisory) to leave the EU WHY Immigration; economy; sovereignty WHEN Exit negotiations must be triggered by UK Government (this will be by end of Mar 2017) Until formal divorce, UK remains an EU Member State 3

Brexit Where Do We Currently Stand? Key updates: New Prime Minister: Theresa May Three Governmental Departments: New Department for Exiting the European Union New Department for International Trade (ex BIS) Foreign and Commonwealth Office Legal challenge whether entitled to use prerogative powers to give notice EU Negotiating Team - Commission v. Council: Michel Barnier: chief Brexit negotiator for European Commission 4

Procedure

Article 50 Triggering Leaving Process AR T I C L E Prime Minister has said she will serve formal notice under Article 50 by end of March 2017 Process has to be completed within two years, unless there is mutual agreement to extend. Cannot withdraw from process once it begins? Not clear if Article 50 withdrawal negotiations will be concurrent with what next negotiations EU laws will continue to apply in the UK and the UK will remain part of Single Market until Brexit occurs Extended period of uncertainty until negotiations finalised regarding terms of future relationship between UK and EU and implications for third countries which trade with them 6

What Next? Three key questions: 1 What is the UK s trade relationship with the EU-27? Complex, lengthy negotiations; cherry-picking will be difficult 2 What is the UK s trade relationship with the rest of the world? Third countries may not want to deal with the UK until the EU- 27 / UK relationship is agreed (and may seek to renegotiate agreements with the EU-27) 3 What is the status of EU law in the UK? European Communities Act 1972 to be repealed 7

Trade and customs

Movement of goods between UK and EU27 Single Market Goods in free circulation move freely within single market (no customs declarations / duties payable) Customs Union (Turkey Model) Goods in free circulation are not subject to customs duties when moving within customs union, but: Customs declarations required and import VAT payable UK imports benefit from EU FTAs but UK exports do not FTA Preferential duty rates* only available for goods which meet origin rules (origin certification required) Customs declarations required and import VAT payable UK trade does not benefit from EU FTAs Fallback (WTO) No preferential treatment* Customs declarations required and import VAT payable UK trade does not benefit from EU FTAs * only of concern for dutiable products 9

Movement of Goods Single Market Free movement within the EU of goods in free circulation, irrespective of origin Common EU external tariff Common external trade policy (including FTAs) 75% of customs duties collected by Member States sent to the EU (~11% of EU budget) 0% 10% in/ 0% out 10% in/ 0% out 0% 0% 10

Impact of Models on Movement of Services between UK and EU Single Market Freedom to provide services across borders FTA Concessions made on provision of certain services Access will be limited unless significant shift from recent FTA examples occurs Fallback (WTO) Services commitments often very limited A pure customs union does not cover services so default WTO rules apply 11

Impact on the EU-27 Consider: Impact on trade with UK and movement of goods if restrictions and trade barriers are put in place Impact of movement of workers between EU-27 and UK Impact on pending agreements (e.g. CETA, TTIP) Impact on existing FTAs will counterparties want to renegotiate terms? 12

Impact on Third Countries Consider: Impact on existing FTAs and similar agreements now that the UK is not party to them Impact on pending agreements (e.g. CETA, TTIP) Opportunity for new agreements with the UK? 13

Corporate income tax & WHT

How the EU has shaped UK tax law Treaty basis for EU legislation Harmonisation of VAT Harmonisation of other taxes Unanimity required for legislative action VAT Framework: Directive 2006/112/EC Direct effect of Regulations CJEU decisions: binding effect UK law to be read to comply with EU law 'Soft-law' Code of Conduct for Business Taxation Commission Tax Transparency Package The fundamental freedoms Freedom of establishment Free movement of capital, goods, services and individuals Non-discrimination Prohibition of discrimination on grounds of nationality State Aid Prohibition of aid granted by a Member State in any form whatsoever which distorts or threatens to distort competition Capital Duties Directive Arbitration convention Parent- Subsidiary Directive Mergers Directive Interest and Royalties Directive Mutual Assistance Directive Anti-Tax Avoidance Directive 1969 1990 2003 2004 2012 2016 15

Withholding tax Possible that no Parent/Subsidiary Directive or Interest and Royalties Directive benefit UK regional headquarters may need to rely on UK tax treaties Treaties may not reduce WHT to nil Div idend WHT Interest WHT Royalty WHT Austria 5% 10% Bulgaria 5% Croatia 5% 5% 5% Czech Republic 5% 10% Estonia 10% Germany 5% Greece 10% Italy 5% 10% 8% Lithuania 5% 10% Poland 5% 5% Portugal 10% 5% Romania 10% 10% 15% Slovakia 10% Slovenia 5% 16

Where do the UK and EU27 go from here? 17

Future direction of EU27 Tax Policy Anti-Tax Avoidance Directive Financial Transactions Tax Common Consolidated Corporate Tax Base (CCCTB) State Aid policy Tax haven blacklist? EU27 transfer pricing guidelines? WHT on profits leaving the EU27? Harmonisatio n of tax rates? 18

Value added tax

VAT: Governing law Currently: UK law must be interpreted in conformity with EU legislation and decisions Future: Status of EU law? UK laws implemented prior to Brexit expected to be interpreted in conformity with EU law Likely that EU law supersedes UK law for period before Brexit Introduction of legislative changes by UK Government could be interpreted without reference to EU law UK may still look to mirror EU VAT law Post-Brexit period: EU legislation and CJEU decisions will cease to have direct effect UK Supreme Court will be most senior court regarding interpretation of UK VAT law (subject to the UK remaining a member of the single market) 20

VAT: Impact on compliance Introduction of import and export rules for supplies between the UK and EU27 Increase in duty deferral facility to cover import VAT and possibly customs and excise duties relating to imports from EU countries Abolition of EC Sales Lists for sales from the UK to the EU27 and Intrastat for movement of goods to and from the UK Registration in every EU27 Member State for distance sales, movements of own goods etc? Distance selling thresholds no longer apply for small value exports to EU27 21

Points of interest for stakeholders in Asia Pacific

Points of interest for stakeholders in Asia Pacific UK as a holding company jurisdiction / regional headquarters location? Reorganisation to react to changing landscape? Supply chain opportunities for exporters in the new UK market? Passporting arrangements for financial services? States reported to have already approached the UK: China, Australia, Singapore, South Korea, India Impact on Vietnam / EU FTA ratification process and prospects? Lessons for ASEAN? Impact on EU law as adopted in APAC commercial and fiscal laws? 23

UK as Principal - Comparison of treaty Dividend WHT rates Payer China Hong Kong Japan Singapore South Korea Ireland 0% 0% 0% 0% 0% Luxembourg 5% assumes minimum 25% shareholding 0% assumes minimum 10% shareholding 5% assumes minimum 10% shareholding 5% assumes minimum 10% shareholding 10% assumes minimum 10% shareholding Netherlands 5% assumes minimum 25% shareholding 0% assumes minimum 10% shareholding 0% assumes minimum 50% shareholding 5% assumes minimum 25% shareholding 10% assumes minimum 25% shareholding United Kingdom 0% 0% 0% 0% 0% 24

Where next?

Brexit Form a Brexit Plan 1 Establish a Brexit Working Group 2 Carry out a Brexit Assessment (challenges/ opportunities) and contingency planning; and establish immediate actions 3 Determine your Brexit Strategy (in particular what to lobby for and how) 26

27 Tax and trade implications of Brexit Impact and what to expect Chair: Matthew Lovatt, London Antonio Russo, Amsterdam Frederick Burke, Ho Chi Minh Joshua Odintz, Washington DC