Presentation. Tax risks faced by Chinese investors eyeing attractive investment opportunities in GCC. 15 March 2016

Similar documents
Value Added Tax in the GCC. Insights by industry Volume 1 Introduction. Ninety years in the Middle East

Headline Verdana Bold Qatar Tax Seminar 2016 Managing the sharp climb of tax expansion

Headline Verdana Bold. VAT Implementation VAT landscape in the UAE and the GCC

FATCA and CRS compliance Understanding the requirements

Tax governance in the Middle East Governing tax activity within your business

Value Added Tax in the GCC Insights by industry Volume 3

Tax Seminar 2015 Know the rules, know your way ahead. December 15, 2015

Presented by Cynthia Corby. MCLS, May Presented by Cynthia Corby

International Tax Saudi Arabia Highlights 2018

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

Salient features of the new Zakat regulations

Update on potential introduction of VAT in GCC countries

The UAE has the least demanding tax system, but new data highlights post filing challenges for the region, says PwC

International Tax Colombia Highlights 2018

Value Added Tax in the GCC. Insights by industry Volume 1 Meetings, Incentives, Conferences, and Events chapter. Ninety years in the Middle East

The Kingdom of Saudi Arabia Excise Tax Implementing Regulations Issued by Board of Directors Resolution no of 5/9/1438

Value Added Tax (VAT) in Bahrain Frequently asked questions Volume 3

IFRS 15. Revenue from Contracts with Customers

Value Added Tax in the GCC Insights by industry Volume 2 Ninety years in the Middle East

International Tax Chile Highlights 2018

VAT IN UAE GENERAL UNDERSTANDING.

Tax Planning in the Middle East

International Tax Greece Highlights 2018

BEPS Actions implementation by country Actions 8-10 Transfer pricing

United Kingdom Tax Alert

Taxation of cross-border mergers and acquisitions

International Tax Russia Highlights 2019

Transfer pricing services. in Belarus A wind of change. Transfer pricing services

China s SAT publishes new rules on beneficial owners

Tax Strategy for The Bahamas as an IFC 2 March 2018

International Tax Slovenia Highlights 2018

International Tax Greece Highlights 2019

United Kingdom diverted profits tax now in effect

International Tax Slovakia Highlights 2019

Cyprus Tax News New rules for taxation of intra-group financing arrangements

BEPS Impact on Private Equity

EMEA conference Transforming tax making it work. The Crystal, London 9-10 June 2015

International Tax Taiwan Highlights 2019

Dutch Treaty Developments With Gulf Cooperation Council Countries

Analysing BEPS Impact Private Equity sector

International Tax Russia Highlights 2018

International Tax Japan Highlights 2018

wts study Global WTS PE Study A high-level overview of most discussed PE issues in EU, OECD and BRICS countries

International Tax Indonesia Highlights 2018

International Tax Egypt Highlights 2018

Mobilizing Islamic Finance for Long-Term Investment Financing Create an Enabling Environment for Long Term Islamic Financing

Issues surrounding business travellers. January Tax

VAT in GCC Am I ready for VAT?

Intercompany financing facing new challenges. EY Africa Tax Conference September 2014

The latest and expected changes in Russian and U.S. Transfer Pricing legislation

International Tax Israel Highlights 2018

PwC s Academy VAT Training

International Tax Latvia Highlights 2019

International Tax Brazil Highlights 2019

Beneficial ownership concept and substance requirements

International Tax Sweden Highlights 2018

International Tax Singapore Highlights 2018

BVS Seminar Draft Law / Royal Decree changing SIR regulatory framework

International Tax Japan Highlights 2019

International Tax Finland Highlights 2018

By Mohammed Abdullah Al Mehrezi

Arms Length Standard Transfer Pricing Disputes on the Rise By Michiel Els

International Tax Sweden Highlights 2019

MEIC PRE-CONFERENCE SURVEY MIDDLE EAST & NORTH AFRICA MARKET ISSUES. 6 April 2014

Introduction to KUWAIT

IBFD Course Programme Tax Planning in Africa and the Middle East

Significant tax changes: UK implications for captive insurers

Will the Mobility Allowance, also known as Cash for Car, be a valid alternative for the company car? 17 October 2017

Recent cases on the application of Taiwan sourcing rules

Introduction to SAUDI ARABIA

International Tax Albania Highlights 2018

United Kingdom Tax Alert

MSCI Index Proposal for Gulf Countries. November 2005

AUSTRIAN BUSINESS COUNCIL SEMINAR ON VAT AND CORPORATE TAX IN THE UAE. Presentation by: Farooq Ladha Markus Susilo. 22 March Audit Tax Advisory

International Tax China Highlights 2017

International Tax Germany Highlights 2018

International Tax Poland Highlights 2018

Tax trends in Vietnam a 2016 update

International Tax Georgia Highlights 2018

International Tax Netherlands Highlights 2018

Tax services.

Future of tax in a digital economy: Are you prepared? The Dbriefs International Tax series

Insurance Tax Insight The Global Tax Reset: BEPS & Insurance

PwC s Academy VAT Training

International Tax Croatia Highlights 2018

China Related Party Transactions and TP Documentation Rules Highlights. 10 August 2016

International Tax Taiwan Highlights 2018

Tax highlights. Key developments this week. 1 December Contents:

Insure Egypt Briefings

Value Added Tax in the GCC Insights by industry Volume 3

Financial Services Aircraft Leasing Forum

International Tax Romania Highlights 2018

International Tax Argentina Highlights 2018

International Tax Italy Highlights 2018

IASB issues exposure draft: Annual Improvements to IFRSs Cycle

International forum: focus on Azerbaijan Doing business in Azerbaijan. Nuran Kerimov

Gulf Cooperation Council VAT may impact international law firms

Bahrain releases new VAT Law

Protocol to New Zealand-U.S. treaty: A New Zealand perspective

International Tax China Highlights 2019

Transcription:

Presentation Tax risks faced by Chinese investors eyeing attractive investment opportunities in GCC 15 March 2016 1

Agenda 1. Introduction 2. Chinese investment in the GCC 3. Middle East/ GCC recent tax Developments 4. Key tax risks faced by Chinese investors 2

Chinese investments in the Middle East/ GCC 3

Chinese Investment in the GCC 4

The emergence of Iran significant new opportunities 5

GCC a few facts The Gulf Cooperation Council ( GCC ) Established May 25,1981 Members: Bahrain, Kuwait, Oman, Qatar, United Arab Emirates, Saudi Arabia (Jordan under consideration). Importance: o o o o Market of 42 million people (and growing) Gross Domestic Product of $1.6 trillion in 2014 Despite the drop in the oil prices, estimated GDP growth rate of 3% for 2016. GCC has largest proven oil and gas reserves Customs union allowing free trade between members Economic importance Exports of 861 billion USD for 2014 Imports of 476 billion USD for 2014 Exporter of natural resources 50% of world s oil and gas Important hub for trade between Asia and Europe 6

Middle East Tax Developments 7

Middle East - corporate income tax overview The Middle East/ GCC is often mistakenly perceived as an area with limited or no taxation. However this is not the case. Generally, the companies are taxed on a territorial basis. Zakat tax paid by nationals/gcc nationals on their share of the profits e.g. Kuwait (1%), Saudi Arabia (2.5%) 25% 20% 15% 10% 5% 0% Corporate income tax headline rates 9

Middle East tax developments and recent trends Ongoing Tax Reforms International pressure to introduce taxes Double Taxation Treaties expanding More consideration to transfer pricing Jordan introduces new Income Tax Law Effective 1 January 2015. Egypt - New VAT law 2015. Changes to Oman Income Tax Law Kuwait - New Foreign Investment Law and Draft CIT Law KSA - Virtual Services PE. Pressure from IMF for GCC countries to diversify their revenues (introduction of VAT). A large number of treaties have been signed / amended or entered into force. Total treaties in force: Qatar (more than 50 treaties), Oman (26 treaties), Bahrain (over 35 treaties), Kuwait (more than 60 treaties), UAE (60 treaties), Saudi Arabia (over 30 treaties). Egypt has already introduced detailed TP regulations Saudi Arabia and Qatar are discussing the introduction of formal TP regulations Increased use of technology by the authorities Saudi Arabia has introduced e-filing system for Zakat filing and Corporate Tax Qatar introduction of Electronic system of tax filing The immigration system to be linked with the tax system exchange of information 10

International pressure to introduce taxes Governments need to diversify source of revenues 10

Middle East region What does the future look like? VAT; Transfer pricing documentation requirements; Tougher anti-avoidance laws and scrutiny of tax structures; More transparency and sharing of information; Greater requirement to demonstrate effective tax governance and strategy/policy 12

Practical tax risks applicable to Chinese investors in the GCC 12

Key tax risks for Chinese investors in the GCC Restrictions on foreign ownership/ Nominee Structures Application of DTTs and WHT refunds Key Tax Risks Lack of proper TP legislation and deemed profits assessment Permanent Establishment risk Permanent establishment not well defined and not fully aligned with OECD principles. No specific thresholds -1 day could create taxable presence. Virtual Services PE in KSA. Restriction on foreign ownership/ nominee structures Current foreign ownership restrictions force multinationals to adopt indirect investment structures (e.g. using local nominees), which can be and are actually challenged by tax authorities. Application of DTTs/ WHT refunds The application of DTTs is seldom allowed upfront, it typically requires the approval of local tax authorities and / or payment of local WHT first -> cash flow strain on foreign businesses. Lack of proper TP legislation and deemed profits assessment Currently no formal detailed TP legislation in the region (with the exception of Egypt), which opens multinational companies to aggressive challenges on all related party transactions. To the extent challenged, multinationals can be subject to tax on arbitrary levels (deemed profit basis). Timescales for tax compliance, audits and refunds There can be significant gaps between filing and paying tax and being audited by the local tax authority as well as between requesting and obtaining a tax refund. 13

Risk of Permanent Establishment - Example Introduction of Virtual Services PE concept DZIT issued internal guidance about what constitutes a PE and introduced the concept Existing of a Virtual Services PE. New Targeted mischief Under the guidelines, non residents shall be considered to have created a PE for Saudi tax purposes in all cases where the duration of service exceeds 183 days within a 12 month period, regardless of the place where the service is rendered. Currently, no specific provision in the local tax legislation to support this position. Not aligned with the OECD and the UN Model guidelines (which typically represent the norm in interpreting taxation matters). This contradicts the provisions of most of the DTTs that KSA has entered into. This interpretation can result into denial of Withholding Tax (WHT) refund claims for non resident and can ultimately result in double taxation. 14

Restriction on foreign ownership/ nominee structures The region still has foreign ownership restrictions, either generally applicable or on select industries. Existing New In some GCC countries, GCC shareholders and their direct Targeted investments mischief are not subject to corporate income tax or alternatively, they are subject to reduced taxes (e.g. zakat). Foreign companies use nominee structures the legal ownership lies with a GCC national(s), however all de facto beneficial ownership / management lies with the foreign entity. Local tax authorities are enabled to look through the structure of any transaction to establish the real substance of any such transaction. If successfully challenged, the risks for the foreign party can be significant, ranging from additional tax payable to penalties for tax evasion etc. 15

Lack of proper TP legislation and deemed profits assessment With the exception of Egypt, the region is yet to introduce detailed TP legislation. Existing This brings a significant New risk of challenge to any related party Targeted mischief transactions. High risk of disallowance of such costs for CIT purposes, if the transactions are not at an arm s length basis and not properly supported. Although typically accepted, OECD TP reports can still be challenged on the basis of lacking local comparable studies. However, in practice it is very difficult to adequately benchmark certain transactions against similar ones in this region (due to e.g. lack of publicly available information). As such, unless properly documented, related party transactions can be challenged. 16

Tax Structuring Considerations Key structuring points It is important for Chinese companies to proactively structure their investments/ operations in the region; firstly to meet their commercial objectives (e.g. to allow management oversight/ flexibility for certain local decisions) and also to be tax efficient, taking into account the different tax regimes. Consideration may be given to structure the investments in the GCC through a holding company, in a jurisdiction that allows the utilization of a DTT, which can potentially mitigate/ reduce the withholding tax on the repatriation of profits. May identify scope/ opportunities to introduce inter-company transactions that could increase the tax efficiency of certain local operations, assuming that these are made for business/ commercial purposes and are at arm s length. Chinese foreign Tax Credit: An ordinary tax credit is granted, both unilaterally and under tax treaties, for foreign tax paid on foreign income. The amount of foreign tax credit (FTC) is limited to the amount of Chinese tax on the foreign income. China has in place strict anti avoidance rules including transfer pricing legislation and Controlled Foreign Company rules, which may impact the overall structuring considerations. Nevertheless, in practice CFCs are rarely being challenged by the Chinese tax authorities. 18

Keep abreast of changes circulars and instructions are always introduced and can even be applied retroactively. Keep close to the region! 18

This communication 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 communication, rendering professional advice or services. No entity in the Deloitte network shall be responsible for any loss whatsoever sustained by any person who relies on this communication. About Deloitte Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited, a UK private company limited by guarantee ( DTTL ), its network of member firms, and their related entities. DTTL and each of its member firms are legally separate and independent entities. DTTL (also referred to as Deloitte Global ) does not provide services to clients. Please see www.deloitte.com/about for a more detailed description of DTTL 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 and territories, Deloitte brings world-class capabilities and high-quality service to clients, delivering the insights they need to address their most complex business challenges. Deloitte s more than 200,000 professionals are committed to becoming the standard of excellence. About Deloitte & Touche (M.E.) Deloitte & Touche (M.E.) is a member firm of Deloitte Touche Tohmatsu Limited (DTTL) and is the first Arab professional services firm established in the Middle East region with uninterrupted presence since 1926. Deloitte drives progress. Our practices around the Middle East help clients become leaders wherever they choose to compete. We invest in outstanding people of diverse talents and backgrounds and empower them to achieve more than they could elsewhere. Our work combines advice with action and integrity. We believe that when our clients and society are stronger, so are we. Deloitte is among the region s leading professional services firms, providing audit, tax, consulting, and financial advisory services through 26 offices in 15 countries with more than 3,000 partners, directors and staff. It is a Tier 1 Tax advisor in the GCC region since 2010 (according to the International Tax Review World Tax Rankings). It has received numerous awards in the last few years which include Best Employer in the Middle East, best consulting firm, and the Middle East Training & Development Excellence Award by the Institute of Chartered Accountants in England and Wales (ICAEW). 2015 Deloitte & Touche (M.E.). All rights reserved. 19