When The Dust Has Settled (Part 1)

Similar documents
THE FUTURE OF TAX PLANNING: TRANSPARENCY AND SUBSTANCE FOR ALL? Friday, 26 February AM PM Conrad Hotel, Hong Kong

תמונת מצב עדכנית ומבט ישראלי - BEPS

Impact of BEPS and Other International Tax Risks on the Jersey Funds Industry

CPA Esther Wahome. Thursday, 16 August 2018

OECD releases final BEPS package

The OECD s 3 Major Tax Initiatives

BEPS Actions implementation by country Actions 8-10 Transfer pricing

Presentation by Shigeto HIKI

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

Allocation of income post-beps

Korean Tax Update BEPS Implementation

IBFD Course Programme BEPS Country Implementation

Recent developments in international tax

The International Tax Landscape

The Global Tax Reset 2017 Audit Committee Symposium

The UAE has joined the Inclusive Framework on BEPS

International Tax. international tax developments in the Asia Pacific region. February 2015

BEPS Action Plans - Future of International Tax Landscape Rohan K Phatarphekar

BUSINESS MODELS IN THE CURRENT BEPS ENVIRONMENT DO YOU NEED TO CHANGE? Lyndon James, Partner Pete Rhodes, Senior Manager PwC

Overview of OECD Action Plan on Base Erosion and Profit Shifting (BEPS)

OECD s Base Erosion and Profit Shifting (BEPS) Action Plan

Key Hong Kong Tax Develop ments. 27 February 2017

Revenue Arrangements for Implementing EU and OECD Exchange of Information Requirements In Respect of Tax Rulings

Base erosion & profit shifting (BEPS) 25 May 2016

IBFD Course Programme Current Issues in International Tax Planning

IBFD Course Programme International Tax Planning after BEPS and the MLI

ACTL Conference on REITs

IP BOX TAX REGIMES. Rod Donnelly Thursday, September 14, 2017

CA T. P. OSTWAL. T. P. Ostwal & Associates LLP

BEPS: What does it mean for funds and asset managers?

Deloitte TaxMax The 43 rd series One bold step in the right direction. Theresa Goh & Subhabrata Dasgupta l 22 November 2017 By Deloitte Tax Academy

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

OECD issues Action Plan on Base Erosion and Profit Shifting (BEPS)

BEPS Country-by-Country Reporting Rules and New Documentation Requirements

Hot topics Treasury seminar

Vinodh & Muthu. Tax Alert. Insight. Chartered Accountants. Country by Country Reporting & Master File

Tax Obstacles in Cross Border Planning

Practical Implications of BEPS

7th Global Headquarters Conference Swiss Tax Update in the international context

Transfer pricing of intangibles

IBFD Course Programme Current Issues in International Tax Planning

China & Hong Kong Latest Transfer Pricing Developments

International Transfer Pricing Framework

BEPS and its impact on Mergers & Acquisitions

Roundup of Australia s BEPS developments

Hong Kong SAR Government s Roadmap following the outcomes of the BEPS Consultation

How is BEPS likely to impact Singapore?

BASE EROSION AND PROFIT SHIFTING ISSUES : THAILAND

Global Tax Reset Transfer Pricing Documentation Summary. February 2018

BEPS Action 14: Making dispute resolution mechanisms more effective

Examining the impact of BEPS on the life sciences sector. Overview of select BEPS final reports and timing of implementation

Moshe Bina, Senior Manager, International Taxation Department, Deloitte Israel

BEPS Transfer Pricing Developments Update. Global Transfer Pricing Services, KPMG November 2016

Exchange of information on Tax Rulings

A rapidly changing tax landscape Recent Asian tax developments

Transfer Pricing in Botswana and Southern Africa. Christian Wiesener KPMG Global Transfer Pricing Services 26 June 2014

SUBSTANCE IS KING IN THE NEW WORLD ORDER TAX EXECUTIVES INSTITUTE, INC. MARCH 1, 2018

KPMG Japan Tax Newsletter

Russian international tax planning & transfer pricing developments

Taxand Global BEPS Report Impact of BEPS across Taxand jurisdictions. December 2016

Inclusive Framework on BEPS Progress report July 2016-June 2017

Do we have the wrong tax system for the digital economy? Alf Capito, Tax Policy Leader, EY Asia Pacific July 2014

TRANSFER PRICING AND CbC REPORTING: A PRACTICAL GUIDE TO DOCUMENTATION FOR LARGE AND SMALL BUSINESSES. Jeremy Capes KPMG

Ireland signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

VAT The submerged part of the BEPS

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

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

MULTILATERAL INSTRUMENT

Asia-Pacific update. TEI International Tax Planning Houston. 21 February 2017

International trends in taxation of capital and financial products and the impact on Thai Business

BEPS and ATAD: Where do we stand?

BEPS Beyond Fortune 1000 October Armanino LLP amllp.com Armanino LLP amllp.com

BEPS Action 13: Country implementation summary. Last updated: September 2, 2016

BEPS Action Plan. September 2014

Multilateral Instrument to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

Welcome to the EFS-seminar. BEPS and transfer pricing, but what about VAT and Customs? Conference Chairman: René van der Paardt

OECD releases first annual peer review report on Action 5

Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting

Global trends in tax reform and BEPS implementation Wednesday 22 February 2017, 9:00-10:00am EST

BEPS controversy readiness

SIFM. Annual Conference September 19, Overview of Final BEPS Report / Update on Country by Country Reporting Requirements

Cyprus signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

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

BEPS Impact on Manufacturing

BEPS for telecommunications companies

The Czech Republic signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Next Generation Fund Structuring Are you ready? 10 May 2017

Topics in International Taxation: Partner country perspectives

Simplifying BEPS Action Plan

Austria: Notification obligation regarding Country-by- Country Reports (CbCR) by 31 December 2018

Tax trends and issues for financial services. Michael Velten, Southeast Asia Financial Services Industry Tax Leader

Intellectual property in the age of BEPS

BEPS - Current Status of Implementation in EU Countries. Prof. Guglielmo Maisto 1 March 2019

Global Transfer Pricing Conference

GLOBAL BEPS REPORT 2017 IMPACT OF BEPS ACROSS TAXAND JURISDICTIONS MARCH 2018

Answer-to-Question- 1

Country-by-Country Reporting:

PwC Tax Panel 18 October 2016

Switzerland Country Profile

Exchange of Information and Tackling Base Erosion and Profit Shifting

Transcription:

www.pwc.com/sg When The Dust Has Settled (Part 1) Elaine Ng, Tax Partner 15 August 2017

Let s shake up the dust ITA NOA GST IRAS DTA SDA EEIA 2

Let s shake up the dust CbCR PPT AEOI MAAL BEPS DPT MLI FHTP DEMPE 3

Who stirred up the storm? 4

A typical MNC structure around 2008 Parent / TopCo Principal HoldCo IP Co Local OpCos Low tax Finco Operating model debt 5

A quick recap 6

OECD BEPS Project Overview of Action Plan Items and Timeline February 2013 : BEPS Report 19 July 2013 : Action Plan for BEPS Sept & December 2014: BEPS Drafts 5 Oct 2015 : Final reports issued Early 2016: Follow-on work on a number of items ACTION 1: Address the challenges of the digital economy ACTION 2: Neutralise the effect of hybrid mismatch arrangements ACTION 3: Design effective controlled foreign corporation (CFC) rules ACTION 4: Limit base erosion via interest deductions and other financial payments ACTION 5: Counter harmful tax practices more effectively - transparency and substance ACTION 6: Prevent treaty abuse ACTION 7: Prevent the artificial avoidance of permanent establishment (PE) status ACTION 8: Align transfer pricing (TP) outcomes with value creation - intangibles ACTION 9: Align TP outcomes with value creation - risks & capital ACTION 10: Align TP outcomes with value creation - other high-risk transactions ACTION 11: Measure and monitor BEPS ACTION 12: Mandatory disclosure of aggressive tax planning arrangements ACTION 13: TP documentation and country by-country reporting ACTION 14: Make dispute resolution mechanisms more effective ACTION 15: Develop a multilateral instrument to modify bilateral tax treaties Coherence Substance Transparency 7

Summary of recent key changes in tax regulations Quick scan of changed in key global economies United States Proposed Section 385 changes Impact on related debt financing FY 2016 Obama Budget proposals incorporating BEPS action points Consultation on/ proposals on codification of Economic Substance United Kingdom Diverted Profits Tax introduced on 1 April 2015 HMRC guidance on corporate tax loss refresh prevention BEPS implementation Hybrid mismatch and Countryby-Country Reporting (CbCR) Netherlands Introduction of TP documentation and CbCR rules Decrees to address the perceived improper use of Dutch tax treaties and tax law by financial services companies Decree to clarify proper implementation of arm s length principle China Focus on transfer pricing - substance, value creation and local intangibles Public Notice 16 on intragroup outbound payments Public Notice 7 on indirect equity transfer Release of administrative measures on GAAR Brazil Issuance of TP guidance on commodities pricing and financing transactions Interest deductibility limitations Issue of guidance on new Brazil CFC rules. Proposed amendments to reintroduce WHT on dividends paid out of profits Indonesia Issue of guidance on APA process Tax audit focus on companies suspected of abusing tax treaties, intercompany transactions with offshore entities and O&G / mining companies India 2016 Union Budget: Introduction of CbCR Core issues disputes around Permanent Establishments (PEs) and TP New APA program Australia Multinational Anti- Avoidance Legislation (MAAL) and CbCR Updated thin capitalisation rules in line with BEPS Keen scrutiny/ focus on tax practices of MNCs

Where are we now? 102 Members of the Inclusive Framework on BEPS at 6 July 2017 9

As the dust settles, four minimum standards arise 10

Four Minimum Standards under IF Increasing Transparency Enhancing Dispute Resolution BEPS Associate Countering Harmful Tax Practices Preventing Treaty Abuse 11

Increasing tax transparency: Impact of CbCR CbCR in a nutshell CbCR is of particular interest to many MNC groups Disclosure of key information on country-by-country basis Financial information (e.g., revenues, profit before tax, income tax paid, capital etc.); against Economic indicators (e.g., business activity, asset base and headcount) CbCR template submitted to and automatically exchanged between tax authorities (AEoI) 1 New global compliance requirement Tax jurisdiction Unrelated party Revenues Related party Total Profit (loss) before income tax Income tax paid (on cash basis) Income taxes accrued current year Stated capital Accumulated earnings Number of employees Tangible Assets (other than cash and cash equivalents) 2 Transparency over global profit allocation and value chain 12

Hypothetical case study - CbCR Country Activity TP Policy AE Third PBT % of Global Tax Employees Revenues Party Profits Revenues Japan Owner of Residual profits Japan Owner of intangibles Royalty 72 175 30% 42 10 (Parent) intangibles / losses (Parent) Residual profits 230 Key Facts: China Distributor Distribution + Routine net margin 750 37 6% 9 20 China Contract Contract 1,620 1. Japan is the parent entity 120 and owns the 21% IP 30 200 Manufacturing Cost Plus Manufacturer 2. India performs contract R&D India Contract R&D R&D 375 Cost Plus 3. 60 10% 20 China acts as a contract manufacturer and sells to Japan 100 Australia Distributor Gross margin 4. 850-15 -3% China and Australia act as a distributor for Japan - 18 Korea Singapore Japan China India Australia Korea Singapore Licensed Manufacturer (entrepreneur) Residual profits Entrepreneur Entrepreneurial profits (Acquired business) 5. Korea is a licensed manufacturer and pays royalty to Japan Total Global Profits 587 900 90 15% 20 35 6. Singapore is an entrepreneurial entity and recently merged in the group 600 120 21% 20 35 Slide 13

Global adoption of CbCR (only key and /or major economies indicated) Implement as from 1 Jan 2016 Implement on or after 1 Jan 2017 Announcement (including signing up to CbCR MCAA - but no details) Americas Canada US (30 June 2016; voluntary filing) Mexico Europe Denmark Finland France Germany Luxembourg Netherlands Norway South Africa Turkey UK Etc. APAC Australia New Zealand China India (1 April 2016) Japan (1 April 2016) Indonesia Korea Americas Uruguay Europe Switzerland (as from 2018; but voluntary filing) Iceland APAC Singapore (voluntary filing for 1 Jan 2016) Malaysia Vietnam Others Americas Argentina Peru Europe A number of African states APAC Hong Kong Taiwan (As at 29 June 2017) Others Guernsey (under consultation) JLL Others Bermuda Jersey (still in consultation) (*A number of territories are still consulting June on their 2016 CbCR implementation. Details (e.g., timing) may change) 14

Countering Harmful Tax Practices Compulsory spontaneous exchange of information on certain tax rulings Taxpayer specific rulings related to preferential regimes Cross border unilateral APAs and other unilateral tax rulings on TP PE rulings Related party conduit rulings Any other type that gives rise to BEPS concern 15

Countering Harmful Tax Practices Realigning the location of taxation with the location of the underlying economic activity and value creation Peer review of some preferential regimes completed and rest underway some eliminated Cash box goodbye! IP box modified nexus approach 16

Countering Harmful Tax Practices Source: Inclusive Framework on BEPS Progress Report Jul 16 to Jun 17 17

Countering Harmful Tax Practices Source: Inclusive Framework on BEPS Progress Report Jul 16 to Jun 17 18

Preventing Treaty Abuse Anti-abuse provisions and explicit statements will be included in tax treaties Bilateral negotiations Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS aka MLI Sandwiches goodbye? Death of SPVs? 19

Enhancing Dispute Resolution Mechanisms MAP procedures will be improved and mandatory binding arbitration being introduced Peer review of MAP process - ongoing More MAP resources and clearer guidance Arbitration final offer (baseball arbitration) 20

Introduction to the Multilateral Instrument 70 Members have signed up to MLI at 11 July 2017 21

MLI: Key principles 7 June 2017: Singapore signs the Multilateral Convention To Implement Tax Treaty Related Measures To Prevent Base Erosion And Profit Shifting (BEPS) The MLI provides a convenient mechanism for countries to update their treaties to implement measures to counter BEPS. Singapore has committed to: Prevent treaty abuse (adopting the principal purpose test) Enhance dispute resolution Adopt mandatory binding arbitration (choosing the final offer option) to help facilitate resolution of cross border disputes Singapore has identified 68 double tax agreements to be updated through this instrument. Updates will only take place when both countries agree on changes. 22

MLI: Key principles 7 June 2017: Singapore signs the Multilateral Convention To Implement Tax Treaty Related Measures To Prevent Base Erosion And Profit Shifting (BEPS) Implications: How do multinationals respond to the increase in coordination between tax authorities, but not necessarily harmonisation of tax rules? Planning - consider heightened standard for treaty access Review consider legacy arrangements in the light of evolving standards and changes in business model Calibrate dispute prevention and resolution strategy through mutual agreement procedure and advance pricing agreements in an increasing tax transparent environment 23

Singapore s BEPS position 24

Singapore: BEPS position BEPS aligned actions taken to date 21 June 2017: Singapore signed the Multilateral Competent Authority Agreement on the exchange of CbC Reports ( MCAA CbCR ) 7 June 2017: Singapore signed the Multilateral Convention To Implement Tax Treaty Related Measures To Prevent Base Erosion And Profit Shifting Singapore Budget 2017: Announcements on enhancing Singapore s tax incentive regime 10 October 2016: Singapore releases e-tax guide to provide practical guidance on implementation of Country by Country Reporting in Singapore 16 June 2016: Singapore becomes BEPS Associate Singapore commits to implementing the four minimum standards under the BEPS project: 1. Transfer pricing documentation - Country by Country Reporting ( CbCR ); 2. Enhancing dispute resolution; 3. Countering harmful tax practices; 4. Preventing treaty abuse. 20 January 2016: Singapore deposited its instrument of ratification for the Convention on Mutual Administrative Assistance in Tax Matters (signed 29 May 2013) on 20 January 2016. 6 Jan 2015 and 5 Jan 2016: IRAS updated TP Guidelines which includes contemporaneous TP documentation requirements 25

The dust is still settling 26

What will change? 1 2 OECD recommendations for Changes to domestic legislation Amendments to OECD Model Treaty and Commentary Amendments to OECD Transfer Pricing Guidelines Multilateral Instrument for implementing Tax Treaty Related measures Unilateral action and behavioural changes from tax authorities 3 4 Impact of tax transparency Country-by-Country Reporting and automatic exchange of information Spontaneous exchange of tax rulings Digital Economy 27

MLI and beyond Minimum standards Reinforced international standards Common approaches & best practices Analytical reports & measuring BEPS Action 5 MLI Action 7 Action 1 Action 11 Counter harmful tax practices Prevent the artificial avoidance of PE status Digital economy Data analysis MLI Action 6 MLI Action 2 Action 15 Prevent treaty abuse Action 13 Re-examine transfer pricing documentation MLI Action 14 Dispute resolution Actions 8-10 Aligning transfer pricing outcomes with value creation: Intangibles; Risk and capital; and Other high-risk transactions Neutralise the effects of hybrid mismatch arrangements Action 3 Strengthen CFC rules Action 4 Limit interest deductibility Develop a multilateral instrument Action 12 Mandatory disclosure rules 28

BEPS impact of typical MNC structure BEPS overlay Impact on BEPS Action Plan Item Parent / TopCo Disclosure and transparency ParentCo. TP / CbCR CFC Harmful Tax Practices Treaty Abuse Principal HoldCo Operating model ParentCo. Principal IP Co. OpCo. TP PE CFC Harmful Tax Practices Treaty Abuse Digital Economy IP Co Operating model Local OpCos debt Low tax Finco Hold Co and Financing HoldCo. Lender Borrower Treasury Harmful Tax Practices Treaty Abuse Hybrid mismatch Interest deductibility limitations TP (e.g., guarantees, interest rates) 29

The Future of Taxation TRANSPARENCY SUBSTANCE DISPUTE RESOLUTION 10

Thank you The information contained in this presentation is for general guidance on matters of interest only and is not meant to be comprehensive. The application and impact of laws can vary widely based on the specific facts involved. Before taking any action, please ensure that you obtain advice specific to your circumstances from your usual PricewaterhouseCoopers Singapore Pte.Ltd. client service team or your other tax advisers. The materials contained in this presentation were assembled in July 2017 and were based on the law enforceable and information available at that time. 2017 PricewaterhouseCoopers Singapore Pte. Ltd. All rights reserved. In this document, refers to PricewaterhouseCoopers Singapore Pte. Ltd. or, as the context requires, the PricewaterhouseCoopers global network or other member firms of the network, each of which is a separate legal entity. 31