Silvania Tognetti TTN Conference Sao Paulo 2014

Similar documents
The Extinction of CPMF and the New Tax Bill Announced by the Brazilian Government

Opportunities and threatens

Recent Court Cases on Brazilian CFC Legislation. Jérôme van Standen November 2012

Global Tax Alert. Brazil enacts tax reform

Brazilian estate and gift taxes present and future. Raul de Paula Leite Filho

TTN Seminar Monaco 2008

THE BRAZILIAN LABOR REFORM BILL OF LAW Nº 6.787/2017 ENACTED BY THE NATIONAL CONGRESS

In the 65nd edition, we bring 03 different subjects, within Case Laws and Legislations.

Brazil. Institutional Repository. University of Miami Law School. University of Miami Inter-American Law Review

Taxation of Individuals: What to be expected in 2017?

Brazil issues further guidance on pricing of interest bearing transactions; taxpayerfavorable. Minus 60 case. Global Tax Alert

U.S. and Brazilian Tax Planning for Cross- Border Acquisitions of Brazilian Companies. TTN - Sao Paulo November 13, 2014

To view our entire schedule of monthly informational webinars, go to adptaxware.com and click on the webinars tab.

Transfer Pricing: Future Trends. HLB International Conference Mark Gasbarra 3 December 2010 U.S. Virgin Islands

Doing Business in Brazil Legal Aspects

Summary and conclusions

Inspection of Deloitte Touche Tohmatsu Auditores Independentes (Headquartered in São Paulo, Federative Republic of Brazil)

New procedures to cancel Service e-invoices [NFS-e] and issuance of Client Invoice [NFTS].

International Tax. Environments. Chapter Outline. Tax Neutrality INTERNATIONAL INTERNATIONAL FINANCIAL MANAGEMENT FINANCIAL MANAGEMENT

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

INNOVATION IN THE PRACTICE OF CORPORATE LAW

Global Transfer Pricing Review

Brazil Statutory Corporate Tax Rate: 34%

STEP Gold Coast - Minimizing Tax on the Sale of Stock of CFCs After the Tax Cuts and Jobs Act of 2017

P ractitioners. Corner. Multinational enterprises doing business in. Italy s International Tax Ruling Procedure. by Marco Rossi

Territoriality for the United States? Panelists

(Re)insurance Claims in Brazil

Challenges in Determining the Tax Base for Extractive Industries. Risk Based Compliance Strategies for Extractive Industries in Brazil

CORPORATE INVERSIONS. Jack Miles, Esq. Kelley Drye & Warren LLP 101 Park Avenue New York, NY (212)

State Tax Implications of International Tax Reform

Brazil amends transfer pricing rules: New rules for deductibility of intercompany interest and new normative instruction

Case 1:16-cv LLS Document 1 Filed 05/26/16 Page 1 of 37 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

The Firm. Mission. Clients

INNOVATION AND EMERGING TECHNOLOGY IN BRAZIL SOUZA, CESCON, BARRIEU & FLESCH ADVOGADOS SÃO PAULO RIO DE JANEIRO BELO HORIZONTE BRASÍLIA SALVADOR

COSAN LOGÍSTICA S.A. Corporate Taxpayer ID (CNPJ/MF): / Company Registry (NIRE): Publicly Held Company

Nelson Lara dos Reis Lawyers

Tax Provisions in Administration s FY 2016 Budget Proposals

Brazil. Capital city: Brasilia. Aera: 8,514,876 km 2. Population: 206,100,000. Language: Portugues. Political system: Presidential federal republic

EMTA TEMPLATE TERMS for BRL / EUR Non-Deliverable Cross Currency FX Transactions

The Volcker Rule: Implication for Private Fund Activities

2014 Latin America Tax Summit

The Volcker Rule: Proprietary Trading and Private Fund Restrictions

Moving to a (Properly Designed) Territorial System of Taxation Will Make America s Tax System Internationally Competitive

Data Consolidation of the Private Equity and Venture Capital Industry in Brazil. kpmg.com/br

KEY PRACTICAL ISSUES TO ELIMINATE DOUBLE TAXATION OF BUSINESS INCOME 1 Igor Mauler Santiago 2 Fernando Daniel de Moura Fonseca 3

United Nations Practical Portfolio. Protecting the Tax Base. of Developing Countries against Base Erosion: Income from Services.

Significant Revisions to US International Tax Rules

The legal form of a European Stock Corporation is an interesting alternative for mid-sized partnerships and also for large corporations.

The Financial Crisis and Implications for U.S.-Mexico Brazil s New Natural Gas Law

UK transfer pricing legislation how does it affect you?

Tax Treatment of Flight Crew Members

General Anti-Avoidance Rules (GAARs) A Key Element of Tax Systems in the Post-BEPS Tax World?

CONVERGENCE OF TAX TRENDS IN THE EAC

E/C.18/2016/CRP.2 Attachment 9

Taxation of Foreign Passive Income for Group Companies

IRS Releases Proposed Anti-Hybrid Regulations

European Commission publishes Anti Tax Avoidance Package

INTERNATIONAL INSOLVENCY INSTITUTE

PSV totals R$627 million Contracted sales grow by 110% (R$351 million)

Destination Brazil Brazilian Taxes Recent changes April 25 th, 2013

The Advantages of the UK as a Location for a Holding Company. David Gibbs May 2015

Brazil s economic growth and use of the BNDES financing for strategic infrastructure projects. Tokyo June 21, Luciano Coutinho President

7º Seminário Internacional de Impostos. 7 th International Tax Seminar

Pricing Supplement PART A CONTRACTUAL TERMS

GLOSSARY OF TERMS: INTERNATIONAL BUSINESS

The IRS and Treasury Issue New Anti-Inversion Notice

Brazil s Operation Car Wash : Conducting Investigations in a New Brazil

INTERNATIONAL BUSINESS ASSOCIATION GENERAL RAPPORTEURSHIP COLOMBIA

Ana Lucía Barrientos. Posse, Herrera, Ruiz.

The 2017 Proposed Federal Tax Legislation: A First Look.

Arezzo Indústria e Comércio S.A. Parent company and consolidated financial statements at December 31, 2017 and 2016 and independent auditor s report

Treasury and IRS Re-Release Proposed Regulations on Implementation of New Centralized Partnership Audit Regime

EUROPEAN COMMISSION PRESENTS ANTI-TAX AVOIDANCE PACKAGE

Global Transfer Pricing Review kpmg.com/gtps

Tax Executives Institute

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

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

New Developments Summary

ARBITRATION IN THE LIGHT OF THE OPENING OF BRAZILIAN REINSURANCE MARKET Mauricio Gomm-Santos 1

( 1 RN01-01 Regulamento de Arbitragem_eng_vd_psk

Brazil: BEPS Action Plan 13 Country-by-Country Reporting

International Tax Spain Highlights 2018

Brief comments on Brazilian Mineral Royalty (CFEM) Taxable event and tax base

ALIYAH FROM THE USA. STEP ISRAEL Annual Conference Tel Aviv, Israel June 20, 21, 2017

I. Japanese CFC Rules and the 2010 tax reforms

US Corporate Taxation

Global Restructuring & Insolvency Guide

Canadians with International Assets

In this chapter, you will explore business-government trade relations. You will also: Examine the political, economic, and cultural reasons why

Impact of the Russian CFC Law on Inbound Foreign Investors *

Conference Call Transcript 4Q15 Results T4F (SHOW3 BZ) March 10, Operator:

The IRS and Treasury Issue New Anti-Inversion Guidance

Brazil. Institutional Repository. University of Miami Law School. University of Miami Inter-American Law Review

Double Taxation Relief

Controlled Foreign Corp. Restructuring For US Taxpayers By Carl Merino and Dina Kapur Sanna (August 13, 2018, 12:48 PM EDT)

PROGRAM 2017 ICC BRAZILIAN ARBITRATION DAY. Sao Paulo, 4 May 2017 (9:00 to 18:30)

Switzerland. Investment basics

3Q16 EARNINGS RELEASE. Viver Announces its Results for the Third Quarter of Highlights

Gerdau S.A. Interim Financial Statements Together with Report of Independent Public Accountants. September 30, 2001

Global Trade Excellence Center

Transcription:

Changes in Brazilian CFC rules Silvania Tognetti TTN Conference Sao Paulo 2014

Main Topics CFC rules in Brazil: a recent history with many chapters. After ten years appreciating a single case, the decision of Brazilian Supreme Court is...?(adi 2.588) Now that we have a precedent issued by Supreme Court about the constitutionality of CFC rules, let s change them! (Provisional Measure 627/13 Law 12,973/14) Is it necessary to control a foreign company to apply CFC rules? Brazilian Innovation: Value of Investments adjusted by CFC profits is not equal to CFC income. And how Brazil punish CFC tax havens with passive income? Avoiding Litigation about new CFC rules.

CFC rules in Brazil: a recent history with many chapters.

recent history Global Taxation only for some months Taxation of Profits on CFC 2001 2014 Changes on CFC rules Territoriality 1988 1995 1997 Taxation profits deemed to be distributed 1987 End of Territoriality

recent history The main difference of CFC rules adopted by Brazil tax law is the application to any type of investments: with or without control of the company, in tax haven or jurisdictions with high taxes, passive income or business income. Brazilian multinationals with international subsidiaries to attend only their business purpose are included in CFC rules with the same provisions applicable to international structures settled only to reduce tax burden.

After ten years appreciating a single case, the decision of Brazilian Supreme Court is...?(adi 2.588)

ADI 2.588 The dispute: Taxpayer arguments: Non distributed profits of a subsidiary of a Brazilian company cannot be considered income in the definition of income tax basis provided by Brazilian Tax Code. When the Brazilian company is not the controller shareholder (or quota holder), the payment of taxes occurs in cases in which the investor has no power to approve an effective distribution of profits. Tax Authorities arguments: Taxation of equity value of CFC is taxation of an increase of value of the Brazilian company caused by the results of its international subsidiaries.

ADI 2.588 Case began to be discussed in 2003 and the final decision was enacted in 2013! Decision: It is not possible to tax with CFC rules the profit of invested companies when the Brazilian entity has no control and effective power to vote for a distribution of dividends. CFC rules applies when the subsidiary is in a tax haven jurisdiction. It is not allowed the taxation of profits earned by the invested companies before the issuance of the CFC rules.

Now that we have a precedent issued by Supreme Court about the constitutionality of CFC rules, let s change them! (Provisional Measure 627/13 Law 12,973/14)

Law 12,973/14 The final decision was issued in April, 2013 and the Provisional Measure 627 was enacted in November, 2013. The Provisional Measure 627 was converted into the Law 12,973 in May, 2014 and it will be effective in January, 2015. Several changes were made in Provisional Measure 627 by the Congress the most relevant was the exclusion of CFC rules to foreign investments held by individuals.

Law 12,973/14 Tax Experts have different views about the new Law 12,973/14: Some of them consider it is better than the precedent rules, because it has considered the interpretation of Supreme Court. Others consider it worse than the previous law, because it was issued with the purpose of prevail on the dispute with taxpayers using the legislative power to overcome the limits imposed by the Supreme Court. A few experts are considering it better than the former law in some aspects and worse in others.

Is it necessary to control a foreign company to apply CFC rules?

Control is necessary? Taxation of income earned by undirected controlled foreign company. Taxation of income of controlled foreign companies in any type of jurisdictions. Deemed control when the CFC is in a tax haven jurisdiction. Control is defined considering the business group to include common control by related parties.

Brazilian Innovation: Value of Investments adjusted by CFC profits is not equal to CFC income.

Adjusted Value of Investment The tax basis is the value of investments calculated as the result of the percentage of participation on capital multiplied by the equity value. Only profits are considered in tax basis, losses will not reduce the tax basis and they cannot be consolidated vertically or horizontally. The law try to impose that this value of investments adjusted by profits is not the income earned by a foreign company, but the increase of value that was generated to the Brazilian company in consideration of its investments abroad.

Adjusted Value of Investment In the view of tax authorities: Treaties to avoid the double taxation of income cannot relieve the taxation of the increase of value of a Brazilian resident. There is no double taxation in this case, because taxation in Brazil considers only the increase of value of a Brazilian company. In corporate law increase of value of investments may derive profits to be distributed as minimal mandatory dividends for the shareholders of a Brazilian company.

And how Brazil punish CFC tax havens with passive income?

tax havens There are some exceptions to the restriction of consolidation of profits and losses, that are not applicable to investments in a tax haven jurisdiction. Deemed control of companies in tax haven jurisdiction. Some international concepts related to CFC rules are used in the law only as limitation to some reliefs provided by the new law: Passive income. Jurisdictions that don t exchange tax information.

Avoiding Litigation about new CFC rules.

Avoiding Litigation In order to reduce the litigation against the new law some benefits were granted to taxpayers that resign to the right of go to the discuss the application of the law 12,973/14 in Administrative and Judicial Courts. Specific sector receive reduction of tax rate. Oil and gas sector was excluded from the application of the new CFC rules.

Many Thanks! Silvania Tognetti Silvania.Tognetti@veirano.com.br + 55 11 2313 5721 Veirano Advogados www.veirano.com.br Rio de Janeiro - São Paulo - Brasília - Porto Alegre