Withholding Tax Training for NPOs Presentation by:

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Withholding Tax Training for NPOs Presentation by: Caleb Mokaya CPA Friday, 12 th May 2017

Presentation Outline 1 2 3 4 5 6 7 8 Overview of Withholding Tax (WHT) Payments Subject to WHT Legal provisions on WHT Withholding Tax Rates Pension and Provident Schemes Consequences of Non-Compliance Examples and Recent Case Law Q & A Session 2015 KPMG Advisory Limited, a Kenyan Limited Liability Company and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative ( KPMG International ), a Swiss entity. All rights reserved. 2

Overview of WHT

Overview What is Withholding Tax (WHT)? Tax deducted at source on payments to both resident and non-resident persons on income from various sources. Depending on the income source, WHT can either be a final tax (F) or an advance tax (A) payment

Payments subject to WHT Interest, agency fees, royalties, management, professional and training fees for resident companies; (A) Interest, agency fees, royalties, management, professional and training fees for non-resident companies; (F) Interest payments to an individual; (F) Commissions; (A) Amounts withdrawn from registered pension or provident fund;(f) Payments to non-residents for the use or occupation of property; (F) Winnings from betting and gaming; (F)

Payments subject to WHT Qualifying Dividends - dividends chargeable to tax with the exception of dividends from Co-operative societies (F) Non-qualifying dividends from co-operative society dividend (A)

Why withholding tax? Cash flow to the government An advance payment of tax hence providing an additional compliance measure Cost effective collection measure through the use of other taxpayers Provides a manageable avenue for taxation of non-residents deriving income from Kenya

Legal provisions Income Tax Act (ITA) Section 3(2), Section 10, Section 35, Paragraph 3 and 5 of the Third Schedule to the ITA and WHT Rules 2001 Section 10 provides that any payment paid by a resident person or a person having a permanent establishment in Kenya in respect of: Management or professional fee or training fee; A royalty or natural resource income; Interest and deemed interest; The use of property; Shall be deemed to be income accrued or derived in Kenya

Legal provisions Income Tax Act (ITA) Section 35 provides for payments subject to WHT both to resident and non-resident persons. These include: Interest, agency fees, dividends, royalties, management, professional and training fees; Commissions; Amounts withdrawn from registered pension or provident fund; Payments to non-residents for the use or occupation of property; and Winnings from betting and gaming

Legal provisions Income Tax Act (ITA) Paragraph 3 and 5 of the Third Schedule to the ITA detail the rates applicable for WHT The WHT Rules 2001 provide further clarification on the administration of WHT Paid is defined in Section 2 to include distributed, credited, dealt with or deemed to have been paid. In Fintel v KRA the judge clarified the definition of paid as not to include accrual

Obligations under the WHT regime It is the Responsibility of the person making payment of income subject to WHT to: Compute and deduct the tax at the relevant rate; Remit the tax so deducted by the 20th day of the month following that in which tax is deducted Incase of dispute between the payer and payee: payer should furnish the payee with a written statement showing the WHT deducted; Payee may give a notice of objection in writing to the Commissioner within 30 days after receiving the written statement showing the WHT deducted

Obligations under the WHT regime W.E.F. 1 August 2015, all taxpayers are required to pay WHT via the itax platform NPOs are required to obtain a Payment Requisition Number(PRN) from itax and use this as an Eslip for paying WHT itax automatically generates a WHT certificate and sends this to the supplier on the itax platform

Withholding tax rates

WHT rates for payments made to residents Nature of payment Management or professional fees: (> 24,000) - Managerial, technical, agency, consultancy fees and Training fees Contractual fees: (>24,000) - Building, civil and engineering works Royalties - Software license Rate 5% 3% 5% Interest: Bank interest and other sources 15% Bearer instruments - 2 years; 25% - Beyond 10 years w.e.f 12.06.09 10% Dividends: EA citizens (Uganda and Tanzania) are now considered Kenyan residents for purposes of WHT on dividends 5%

WHT rates for payments made to non-residents Nature of payment Rate Management or professional fees: 20% Royalties - e.g. software licenses 20% Dividends 10% Contractual fees (building /civil/engineering) 20% Rents: Real estate 30% Interest 15% Service fee paid by a licensee 5.625%

Double taxation agreements(dtas) Nature of payment UK % Germany & Canada % Denmark, Norway Sweden Zambia % India % France % South Africa % * Management or professional feesd 12.5 15 20 17.5 As business profits Royalties 15 15 20 20 10 10 Dividends 10 10 10 10 10 10 Interest 15 15 15 15 12 10 Pension 5 5 5 5 5 - Entertainment sport and promotion 20 20 20 20 20 - Rent(real estate) 30 30 30 30 30 - Rent(Others 15 15 15 15 15

Double taxation agreements(dtas) Country Signed by both countries Country ratification and notification(ke) Ratified by Kenya (Gazette Notice) Ratification notified by Kenya Treaty in force East Africa Community countries Yes Ratification and or notification not yet done by TZ, UG and Burundi Legal Notice no 142/2014 Yes No, awaiting ratification/notification by Tanzania, Uganda and Burundi Iran Yes No Legal Notice no 60/2014 No No, awaiting ratification/notification by Iran and Kenya Kuwait Yes No Legal Notice no 149/2014 No No, awaiting ratification/notification by Kuwait and Kenya Mauritius Yes Yes Legal Notice no 59/2014 No No, awaiting notification by Kenya Seychelles Yes No Legal Notice no 9 of 2015 No No, awaiting notification by Kenya and ratification/notification by Seychelles

Payments by pension/provident schemes Unregistered schemes: No further tax is deductible on withdrawals Registered schemes: Withdrawals are taxable WHT ordinarily deductible at PAYE rates Wider brackets apply

Withdrawal from pension schemes Special withdrawals (KShs) First KShs 300,000 Ordinary withdrawals (KShs) Rate Exempt First 400,000 after the exemption 121,968 10% Next 400,000 114,912 15% Next 400,000 114,912 20% Next 400,000 114,912 25% Over 1.6 M Over 466,704 30% Special withdrawals Payment made after the expiry of fifteen years after joining the fund Attainment of the age of 50 years Early retirement on grounds of sickness Ordinary withdrawals Before expiry of 15 years after joining the fund

Non-compliance with WHT rules and obligations

Legal provisions Late payment penalty of 10%; Interest at 1% per month on the outstanding tax, until payment in full; Other general offences under withholding tax e.g. failure to submit annual return (up to a maximum of fine KShs 100,000 or six months imprisonment or both); W.E.F 13 June 2008 - In duplum rule applies to interest on tax

Examples

Example 1 Contract with a UK firm Detail (WHT at 12.5%) Amount (KShs) Management Fee 100,000 Disbursements (Meals and Accommodation) 50,000 Total 150,000 WHT tax (@ 12.5%) (18,750) Amount paid 131,250 Total cash outflow 150,000 NB: The amount paid to the supplier will be KShs 131,250 The company deducts the WHT and remits the same to the KRA

Example 2 Contract with a UK firm net of Tax Detail (WHT at 12.5%) Amount (KShs) Management Fee (net of WHT ) 150,000 WHT @12.5% (deem fee to be 87.5%) 21,429 Actual expense amount (inclusive of WHT) 171,429 Amount paid to supplier 150,000 Total cash outflow 171,429 NB: The amount paid to the supplier will be KShs 150,000 The company bears the WHT of KShs 21,429 paid to KRA

Case laws and recent court rulings

Withholding tax on disbursements Local Committee Ruling on Tsavo Power Company Limited Vs Kenya Revenue Authority THE FACTS KRA Audit conducted established that Tsavo was not charging WHT on miscellaneous expenses (hotel accommodation, travel and transport) It was held that disbursements are subject to WHT unless tax payer can prove there is no margin on the disbursement Definition of management and professional fees however calculated to include disbursements

Definition of paid for WHT Fintel Limited Vs Kenya Revenue Authority A High Court case challenged the definition of paid under Section 2 of the ITA THE FACTS Fintel entered into a contract for the construction of a rental building and experienced difficulties in settling outstanding fees KRA conducted an audit and demanded WHT interest liability accrued for failure to settle fees Accrual of an expense in the audited accounts did not amount to the same expense being paid as defined under Section 2 of the ITA

Timing of WHT Fintel Limited Vs Kenya Revenue Authority A High Court case challenged the definition of paid under Section 2 of the ITA THE FACTS Additionally, under the provisions of Section 35, tax is only withheld upon payment and therefore payment is a prerequisite for WHT to apply As a result, WHT was not applicable on the interests accrued in the audited accounts by Fintel as it had not made any payments

Think About it If you are paying tax on behalf If you of are the paying other tax party, on why behalf should of KRA the other treat party, it as your why tax should and KRA still treat demand it the as tax your and tax penalties and still on demand nonpayment? the tax and penalties on nonpayment? What happens in case you overpay What happens WHT based in case on the you accrual overpay concept? WHT based on the accrual concept? Do payments under a contract Do payments of service under amount a to a contract contractual of service payment? amount to a contractual payment?

Knowledge Check A company is being provided with the following services. Identify which ones are subject to WHT Service Installation of operating software Supply of mobile phones to Base Titanium Subscription fees for Oracle software Tax advisory fees Monthly salary to employee Service Rent paid to a non-resident person Construction services Rent paid to a resident person Dividends paid to shareholders Safaricom telephone bills

Knowledge Check A company is being provided with the following services. Identify which ones are subject to WHT Service Service Installation of operating software Supply of mobile phones to your organisation Subscription fees for Oracle software Rent paid to a nonresident person x Construction services Rent paid to a resident person Tax advisory fees Dividends paid to shareholders Monthly salary to employee x Safaricom telephone bills x x

Q & A Session