Fair value taxation. Professor Pieter van der Zwan

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Transcription:

Fair value taxation Professor Pieter van der Zwan

Traditional income tax base Bases for imposing income tax: Cash basis Accrual basis Unrealised basis

Financial accounting Historical purpose Stewardship function IFRS current purpose The objective of general purpose financial reporting* is to provide financial information about the reporting entity that is useful to existing and potential investors, lenders and other creditors in making decisions about providing resources to the entity. Those decisions involve buying, selling or holding equity and debt instruments, and providing or settling loans and other forms of credit.

Views on fair value accounting Relevance Reliability

Alignment of financial reporting and taxation Similarities Accounting profit used as basis for tax computation Differences Mainly timing Classification and rates Group concepts

Moving towards fair value and IFRSbased taxation Section 24JB introduction Applies to years of assessment ending on or after 1 January 2014 International trends

Mechanics of section 24JB Entities affected Covered person any authorised user as defined in section 1 of the Financial Markets Act that is a company SARB Any bank, branch, branch of a bank or controlling company as defined in section 1 of the Banks Act Company or trust that forms part of a banking group

Mechanics of section 24JB Instruments covered To be included or deduct from income for YOA Amounts that are recognised in profit or loss in the statement of comprehensive income in respect of financial assets and financial liabilities of that covered person that are: recognised at fair value in profit or loss in terms of International Accounting Standard 39 of IFRS or any other standard that replaces that standard or, in the case of commodities, at fair value less cost to sell in profit or loss in terms of IFRS for that year of assessment Section overrides any amount relating to the above instruments that another section requires to be taken into account

Mechanics of section 24JB Instruments not covered by implication Financial instruments measured through equity (long term share investments, etc.) Financial instruments measured at amortised cost (loans, etc.)

Mechanics of section 24JB Example of impact: Start Y1 End Y1 End Y2 Buy instrument at 10 Instrument valued 50 Instrument valued 100 Sell instrument at valued R150 IFRS Cash Fin asset 10 (10) Gain 90 Gain 50 150 (11,2) (14) (14)

Mechanics of section 24JB Amounts excluded (a) a financial asset that is (i) a share; (ii) an endowment policy; (iii) an interest held in a portfolio of a collective investment scheme; (iv) an interest in a trust; or (v) an interest in a partnership, if that financial asset was upon initial recognition designated because it is managed and its performance is evaluated on a fair value basis; or (b) a dividend or foreign dividend received by or accrued to a covered person

Design criticism of section 24JB Hedging discrepancies Commodity contracts instruments treated as if financial instruments for IFRS Foreign exchange risk on loans to fund infrastructure not within scope of this section

Design criticism of section 24JB Trigger for application entity or instrument Member for specific transaction taints all financial instruments at fair value through P/L

Design criticism of section 24JB Exposure of tax laws to changes/elections in IFRS requirements IFRS 9 election to accounting for certain equity instruments through equity

Design criticism of section 24JB Implications of transactions between group entities Timing mismatch on two sides of transaction Anti-avoidance rule only applies if transaction entered into solely or mainly for purpose of tax benefit

Concluding thoughts Overall impression of section 24JB Cash flow timing Interaction with remainder of legislation and scope

Thank you Pieter van der Zwan pieter.vanderzwan@nwu.ac.za pieter@pvdz.co.za