Asia Pacific Customs and Trade Conference

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Transcription:

www.pwccustoms.com Asia Pacific Customs and Trade Conference What the BEPS?!? Frank Debets, Partner, WMS Singapore Howard Osawa, Director, WMS Japan

Agenda Introduction to BEPS Potential impact of BEPS on customs and trade Preparing for BEPS 2

Introduction to BEPS 3

Introduction to BEPS BEPS in context What is BEPS - OECD s base erosion and profit shifting project Why BEPS now - Government desire to protect tax base - Public perception of whether or not multinational companies pay their fair share of taxes - Perceived need to correlate tax liabilities with operations What OECD is trying to accomplish - Multi-step plan to reshape international tax rules - Encourage global consistency in the way tax rules are applied 4

BEPS project timeline 2012 2013 July 2013 2014-15 2015 The OECD BEPS project starts G20 governments urge OECD to move against BEPS arrangements The OECD issues the BEPS Action Plan The OECD releases reports and discussion drafts on all topics The final reports are scheduled for release by December 2015 5

Introduction to BEPS BEPS Action Plan OECD actions organized into 15 Action Items Action Items that may have most relevance for customs and trade - Action Item 3: Strengthen Controlled Foreign Corporation ( CFC ) Rules - Action Items 8, 9 and 10: Transfer Pricing Outcomes - Action Item 13: Transfer Pricing Documentation Types of impact - Potential change in trade flows - Potential change in valuation - Consistency between transfer pricing documentation and documentation needed to support customs positions 6

Introduction to BEPS Key focus areas of BEPS project from a trade perspective Management of intellectual property and intercompany licensing agreements - What are the value drivers in the business, how are they developed, which entities are responsible for development, how are they deployed Functions and substance of regional centres / headquarters / principals Mapping and alignment of functions, risks and assets within the organization and appropriateness of tax positions 7

Introduction to BEPS Illustration Before After Distribution Co HQ / Mfg. Co Product sales Distribution Co Distribution Co 5% OM 5% OM 5% OM HQ / Mfg. Co Regional Principal (low tax jurisdiction) Product sales 1.HQ license right to utilize IP to mfg and distribute products in territory to regional principal 2.Regional principal utilizes related parties to manufacture and distribute products in region Related Party Contract Manufacturers Limited Risk Distributor Limited Risk Distributor Limited Risk Distributor 2% OM 2% OM 2% OM 8

Introduction to BEPS Illustration of Transfer Pricing Documentation Requirements Effective 1 January 2016 Master File Overview of the Group s global operations Local File Information specific to the local entity Three tier TP Documentation Country-by-country reporting Group wide financial information 9

The potential impact of BEPS 10

Potential impact of BEPS on customs and trade Review of existing operations and transaction flows under BEPS may result in a restructuring of trade flows - Sourcing routes may change as a result of restructuring, for example Change in regional principal or regional HQ locations Relocation of procurement centres - Possible risks or opportunities around FTA utilisation Changes in valuation due to revision of transfer pricing arrangements, e.g. - Reallocation of functions and risks along value chain may result in new intercompany pricing model - Licensing of intellectual property may change and impact value if royalties are deemed to be dutiable 11

Potential impact of BEPS on customs and trade Revised transfer pricing documentation and characterization of business may impact prior positions established with customs authority - Consistency with previous documentation and documentation used for other purposes, e.g. preferential origin - Possible access for the authorities to previously unknown valuation information, e.g. CBCR documents on overseas Gross Margins Changing attitude of the customs authorities - Increased scepticism of the value of TP documentation and studies - Possible tightening of customs value related documentation requirements 12

Preparing for BEPS 13

Preparing for BEPS Develop an understanding of global tax footprint and relationship to operations Help to facilitate discussion between operations and tax to optimize impact of BEPS compliance Engage in early discussions with Customs on the impact of BEPS on your companies import pricing Countries in the process of implementing BEPS related changes in tax law: - Australia - Japan - China - Singapore - France - UK 14

Questions? This content is for general information purposes only, and should not be used as a substitute for consultation with professional advisors. 2015. All rights reserved. refers to the network and/or one or more of its member firms, each of which is a separate legal entity. Please see www.pwc.com/structure for further details.