US Tax Reform For Canadian Companies

Similar documents
Transition Tax DEEMED REPATRIATION OVERVIEW

Basics of International Tax Planning with Tax Reform

International Tax & the TCJA

Changes Abound in New Tax Bill for Multinational Companies

CONFERENCE AGREEMENT PROPOSAL INTERNATIONAL

US Tax reform. Client event. 6 February 2018

International Tax & the TCJA for Strategic Alliance Firms

Directors Club. March 13, 2018

International Tax Reform - Practical Impacts and Considerations. 30 November 2017

62 ASSOCIATION OF CORPORATE COUNSEL

New Tax Law: International

2017 Tax Reform: Checkpoint Special Study on foreign income, foreign persons tax changes in the "Tax Cuts and Jobs Act"

International Tax: Tax Reform

Comprehensive Reform of the U.S. International Tax System The NY State Bar Association Tax Section Annual Meeting

U.S. Tax Legislation Corporate and International Provisions. Corporate Law Provisions

Tax Reform: Impact of International Provisions on Insurance Companies

SENATE TAX REFORM PROPOSAL INTERNATIONAL

Technical Line. A closer look at accounting for the effects of the Tax Cuts and Jobs Act. What you need to know. Overview

US tax reform: A sea change for international taxation The Dbriefs Tax Reform series

U.S. Tax Reform Key International Aspects

U.S. Tax Reform. 33 rd Annual TEI-SJSU High Tech Tax Institute November 14, 2017

Financial Statement Impacts of U.S. Tax Reform

What does the Tax Cuts and Jobs Act mean for corporate entities?

US Tax Reform Update. 30 January 2018

SENATE TAX REFORM PROPOSAL INTERNATIONAL

International Tax Reform. March 19, 2018 Nicole R. Suk, CPA

Re-evaluating your choice of entity after tax reform

Federal Tax Reform How Have the States Reacted So Far?

Recent Corporate Tax Developments Tax Reform and Troubled Corporations

Tax Accounting Insights

US tax thought leadership December 18, 2017

U.S. Tax Reform: The Big Shake-Up In International Tax Law

Planning with the New FTC Baskets

Applying IFRS. A closer look at IFRS accounting for the effects of the US Tax Cuts and Jobs Act. January 2018

Please any questions for Robert to: Thank you.

U.S. Tax Reform: The Current State of Play

U.S. Tax Reform Legislative Updates

Income Tax Accounting. Friday, December 1, 2017 Grant Thornton's Year End taxguide Event April Little - Partner Candi Crockett - Director

2018 Homebuilder CFO Roundtable. Wynn Las Vegas 7 May 2018

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

Tax Reform Implementation. American Bar Association Section of Taxation May 11, 2018

State Tax Implications of Federal Tax Reform

House and Senate tax reform proposals could significantly impact US international tax rules

International Tax: Strategies for cross-border investing after tax reform

New Developments Summary

U.S. Tax Reform International Corporate Tax Provisions: The Good, the Bad and the Extremely Complex

Tax Cuts & Jobs Act: Considerations for M&A

A Transfer Pricing Update BEPS & U.S. Tax Reform

Tax Cuts & Jobs Act: Considerations for Multinationals

Tax Executives Institute Houston Chapter. Consolidated Return Updates

This presentation is intended to provide general education and no tax advice is intended to be given.

In depth A look at current financial reporting issues

From the Deferral Frying Pan into the Worldwide Fire Rethinking CFC Taxation

ASC 740 AND U.S. TAX REFORM

New Developments Summary

How Federal Tax Reform is Changing the State Tax Landscape

Tax Cuts & Jobs Act: Considerations for Funds

Overview of the Major International Tax Provisions Of the Tax Cuts and Jobs Act

U.S. Tax Reform. Webinar for Australian MNC & Institutional Investors. Carol Kulish, Justin Davis, Patrick Jackman and Peter Madden.

Tax reform in the United States

Tax Reform and U.S. Foreign Reporting for Individuals: New Cross-Border Repatriation and Inclusion Provisions

Provisions affecting banks in tax reform bills House bill and version pending in Senate

2018: TAX OPPORTUNITIES AND CHALLENGES FOR MANUFACTURERS

TAX CUTS AND JOBS ACT: FIRST U.S. TAX REFORM FOR 30 YEARS ERSTE U.S. STEUERREFORM SEIT 30 JAHREN TRITT IN KRAFT

Transition Tax and Notice Foreign Tax Credits BEAT Interactions

U.S. TAX REFORM TAX CUTS AND JOBS ACT December 5, 2017

IRC 965, BEAT, GILTI and FDII Through the Lens of a SALT Professional + Recent Developments

Frequently Asked Questions About. Tax Reform. Financial Reporting Alert 18-1 January 3, 2018 (Last updated January 19, 2018) Contents.

U.S. Tax Reform: The Current State of Play

Impacts of U.S. International Tax Reform. October 23, 2018

Comparison of Key Anti-Base Erosion Rules in the Tax Reform Act of 2017 and under UK Tax Law Calum Dewar, PwC Mike Williams, HM Treasury

NAVIGATING US TAX REFORM:

International tax implications of US tax reform

CHOICE OF ENTITY FOR INTERNATIONAL OPERATIONS AFTER THE 2017 TAXACT

Tax Cuts & Jobs Act: Considerations for Funds

Silicon Valley Chapter

Key Tax Reform Provisions Impacting Life Insurance Company Taxation

Side-by-Side Summary of House and Senate Versions of the Tax Cuts and Jobs Act

Empire State of Mind: International M&A Post Tax Reform

SUPPLEMENTAL MATERIALS FOR

Tax Reform: Taxation of Income of Controlled Foreign Corporations

Territoriality for the United States? Panelists

Inbound and Outbound International Tax Rules

Canadian Tax Alert. US tax reform impact on M&A and the private equity industry. Contacts:

Tax reform readiness: The FTC regulations Credit given (maybe) where credit is due

taxnotes U.S. Tax Reform: The End of the LLC? international by Elan Harper and Azam Rajan Reprinted from Tax Notes Interna onal, July 30, 2018, p.

Tax Cuts & Jobs Act: Considerations for M&A

Tax Cuts and Jobs Act of 2017 International Tax Provisions and Provisions Affecting Exempt Organizations

TAX REFORM S IMPACT ON THE TECHNOLOGY INDUSTRY

Tax Reform: Knowns and Unknowns. Tax Executive Institute Houston, Texas. February 26, 2018

Taxpayers may recharacterize contributions to one type of IRA (traditional or Roth) as a contribution to the other type of IRA.

International tax update. 1 May 2018

U.S. Tax Reform: Impact on Inbound Groups and subsidiaries of US groups. Insights and Practical Considerations. Julio Castro

Tax Cuts & Jobs Act: Considerations for U.S. Multinationals

A New Due Diligence Checklist: Let s Not Overlook Any New Tax Rules

Tax Reform Issues Related to Group Financing - 163j, 267A, BEAT and GILTI Issues International Tax Institute, Inc. June 11, 2018

Tax Cuts & Jobs Act: The Road to Reform Reform Results of Reform

Tax Executives Institute Houston Chapter Tax accounting considerations of recent U.S. tax reform proposals May 4, 2017

INSIGHT: Fundamentals of Tax Reform: GILTI

Understanding the Tax Cuts and Jobs Act

Transcription:

For Canadian Companies 1

Agenda Domestic Changes Income Tax Rate Reduction Update for Certain Deductions NOL, Interest, Depreciation, DPAD (Section 199) Credits and Incentives International Changes Migration to Territorial System Transition Tax Sec. 965 Subpart F & Sec. 1248 Foreign Tax Credits New: GILTI, FDII, BEAT Potential State Impact Approach to Conformity Canada vs USA Tax Planning 2

Federal Income Tax Changes Corporate rate lowered to 21% Pass-through rate of 29.6% for most businesses Interest Deduction Limited to 30% of adjusted taxable income/ebitda Real Estate Company Election Repeal of Alternative Minimum Tax ( AMT ) NOL s Indefinite carryforward, limited to 80% of adjusted taxable income Repeal of deduction for entertainment expenses Capital Investment 100% Expensing of Qualified Property placed in service after September 27, 2017, and before Jan. 1, 2023. Does not include real estate, but does include most personal property attached to buildings 3

Federal Income Tax Changes Domestic Production Activities Deduction (Section 199) Repealed for tax years beginning after 12/31/2017 R&D Credit Preserved New Markets Tax Credits - NMTC NMTC Maintained through 2019 allocation Historic Tax Credit - HTC Repeal of the 10% non-historic tax credit Modification to 20% HTC to be taken over 5 years Work Opportunity Tax Credit - WOTC Maintained through 2019 Opportunity Zones Deferral of gains reinvested in a qualified opportunity fund and Excludes post-acquisition capital gains on investments in opportunity zone funds that are held for at least 10 years 4

Worldwide Tax System Indirect Foreign Tax Credits APB 23 Accounting election to avoid recognizing residual US tax on foreign earnings due to Permanent Reinvestment Inversions Outbound IP Migrations Simplification 5

Transition Tax Sec. 965 requires MANDATORY Toll Charge on Foreign Earnings for DFIC s DFIC = Deferred Foreign Income Corporation Under the new system, there is a one-time toll charge on unrepatriated foreign earnings for every US person including individuals No actual repatriation required!» Toll charge creates a PTI account Foreign Earnings measured at November 2, 2017 and December 31, 2017» Toll charge computed based on the higher of the two earnings amounts» Calendar or Fiscal Year not relevant Effective in 2017, requiring financial statement recognition for the first fiscal period ending after the legislation was enacted on December 22. 2017 6

Transition Tax (continued) Bifurcated Rate of Tax: 15.5% - Earnings held in cash and other liquid assets» Net Accounts Receivable» Marketable Securities» Timing issue for fiscal year companies 8% - Earnings held in illiquid assets» Everything else Eight Year Payment Plan is Available Basis adjustment applies to the extent the earnings that generate the toll charge remain unrepatriated This is only relevant when a DFIC is sold in the future 7

Transaction Tax (Continued) Tax Mitigation Opportunities Loss companies can offset companies with positive earnings» Applies on an affiliated basis or offshore parent-sub relationships FTC s are available but the legislation keeps the effective rate of tax on the Transition Tax at 15.5% / 8% (as applicable) FTC carryforwards can be used to offset the toll charge. Carefully and conscientiously prepare and review E&P calculations» Focus on Pre-87 Amounts, from years where the foreign corporation did not have a US Shareholder» Focus on transactions where book & tax did not treat items the same 8

Territorial System: New Foreign DRD New Sec. 245A provides a 100% Dividends Received Deduction ( DRD ) for dividends received by US Corporations from Foreign Corporations in which it is a US Shareholder 10% Ownership Requirement Holding Period Requirement The dividend can t be deductible by the Foreign Corporation for local tax purposes New DRD does NOT apply to dividends received by: S-Corporation s or Pass-through entities (LLC, LP, LLP, etc.) owned by non C-Corporation partners No more indirect FTC s allowed if dividend qualifies for DRD 9

Subpart F US version of FAPI Sec. 1248 Converts capital gain to dividend income Sec. 960 Indirect credits with Subpart F income PFIC Passive companies with no operations Complexity Acronyms 10

Territorial System: Subpart F (FAPI) Subpart F: Survivor! Expansions of certain pain points:» Holding Period» 30 day ownership rule eliminated» Ownership Attribution Rule» New: attribution to US corporation from foreign parent» CFC Look-through Rule NOT made Permanent» This will always, however, be renewed for payments between related parties Repeal of FBC Oil Related Income FTC s Remain Available via Sec. 960 Retention, but the pooling concept of prior law has been eliminated» For Canadian subs of US companies, this presents a new dynamic as the Canadian rate is now higher than the US rate. Accordingly, new planning should be considered to treat Canada as a branch for US purposes or adjust transfer pricing to increase profits in the US 11

Foreign Tax Credits Indirect FTC s under Sec. 902 will be eliminated prospectively May be partially used to offset impact of Transition Tax, but not to reduce it below the 15.5% / 8.5% thresholds Indirect FTC s under Sec. 960 may still be used to offset Subpart F income Under the new regime, foreign tax credits will not pool and may only be used in the year that those credits arose. Direct FTC s under Sec. 901 still permitted may be beneficial for US Co s to treat Canada and Mexico as branches Low-taxed Mexican production can provide foreign source income to soak up excess Canadian taxes 12

Foreign Tax Credits (continued) FTC Limitation Changes: New FTC basket established for foreign branches New FTC basket established for GILTI Elective increase in ODL utilization percentage for ODL s generated pre-2018 Sec. 863(b) sourcing rule changed to rely on place of PRODUCTION Elimination of FMV method for Interest Expense Apportionment FTC s have a 10 year statute so retroactive FTC reviews are now the only way to use excess FTC s 13

New: Global Intangible Low-Taxed Income ( GILTI ) GILTI is US attempt at a global minimum tax CFC Shareholders subject to an effective 10.5% tax on Adjusted CFC Net income that: Exceeds a specified return, on Tangible business assets, that is Not otherwise taxed by the US, or Minimally taxed outside the US New Sec. 951A; operates similarly to Subpart F FTC s can be used to partially offset the tax on GILTI 14

New: Deduction for Foreign Derived Intangible Income ( FDII ) FDII Deduction is an INCENTIVE to hold intangible property in the US Deduction = 37.5% of FDII Results in effective US tax rate of 13.125% on FDII Key Formula for FDII: FDII = Deemed Intangible Income x Foreign Derived Deduction Eligible Income Deduction Eligible Income Practically, this is an additional incentive for US companies to increase export prices 15

Base Erosion Anti-Abuse Tax ( BEAT ) BEAT applies to: US C-Corporations, with Gross receipts exceeding $500 million (3 year average), and with Deductible, related party payments that exceed 3% of total deductible payments» 2% threshold applies in certain cases for financial service entities BEAT does not apply to: RIC s, REIT s, S-Corporations 16

State Income Tax State Impact - Current Approaches to Conformity Moving or rolling conformity states These states adopt the current IRC for the tax year in question Fixed-date or static conformity states These states conform to the IRC as of a specific date Conform to specific IRC Sections These states pick specific IRC sections to follow Federal Taxable Income No Reference to IRC State taxable income starts with federal taxable income Not affected Gross receipts tax states (Nevada, Ohio, Washington) do not follow IRC conformity 17

Tax Planning Canada vs USA U.S. Corporate Tax Rate 21% Comparison to Canada needs to consider full effective U.S. rate State Tax GILTI BEATS 100% Expensing of Qualified Property Canadian M&P CCA (50%) allows approx. 90% deduction over 4 years Material capital purchases require financing. Consider impact of availability of interest deduction when evaluating Cap-Ex spend 18

Tax Planning Canada vs USA Interest Deductibility Business interest expense deduction will be limited to 30% of adjusted taxable income However, such test is now based on all interest (related party and third party financing) Deduction for certain related party amounts paid or accrued pursuant to a hybrid transaction or by, or to, a hybrid entity, will be denied. Where will you receive the maximum benefit of interest deductibility? Lower tax rate on higher base = higher tax rate on lower base? 19

Tax Planning Canada vs USA Transfer Pricing IP Planning Global Intangible Low-Taxed Income ( GILTI ) 10.5% to consider for traditional international IP safe harbors Deduction for Foreign Derived Intangible Income ( FDII ) Incentive to hold IP in USA Shifting of transfer pricing to goods, services, cost sharing agreements? Base Erosion Anti-Abuse Tax ( BEAT ) 20

Tax Planning Canada vs USA Tax Modelling Necessity for tax modelling Too many U.S. tax changes to predict impact for each industry Various thresholds can exempt application of negative tax implications. I.E. Planning to the Threshold Availability of elections (interest deductibility vs 100% capital deduction) Accelerating tax deduction for high tax periods Revenue deferral to lower tax periods Global capital structure Transfer Pricing stragegy 21

QUESTIONS & ANSWERS 22

Contact Information Todd Behrend Principal Atlanta office Todd.behrend@ryan.com 404.682.1210 Clyde Seymour Principal Toronto office Clyde.seymour@ryan.com 905.567.7926 23