Cross-border Outsourcing

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Transcription:

1 st Subject IFA Mumbai October 2014 Cross-border Outsourcing Issues, Strategies & Solutions Natalie Reypens, partner Loyens & Loeff IFA Belgium 15 October 2013 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 2 1

1. Introduction Emerging markets Technological change in communication and logistics Financial crisis Internationalization of the value chain : outsourcing Belgium one of the most globalized countries (political, economic and social integration) 3 1. Introduction Inbound outsourcing : R&D Outbound outsourcing - Production and assembly operations - Services Administrative (35%) IT and software services (33%) Technology services (21%) Call-centers (11%) 4 2

1. Introduction 5 strategic drivers : - Labor cost savings - Increase of organizational flexibility - Access to qualified personnel offshore - Growth strategy - Other cost savings 5 1. Introduction Outsourcing destinations Belgium Other European countries USA Eastern Europe 4% 4% 2% 11% 11% 17% 27% 24% 5% 3% 8% 10% 14% 1% 17% 27% 15% 6% 11% 6% 3% 9% 1% 13% 51% Western Europe India Other Asian Countries Africa North America China Latin America 6 3

1. Introduction Outsourcing models Belgium 20% 54% 27% Other European countries 43% 14% 43% USA 5% 42% 53% Third party Captive Joint-ventures/Partnering 7 1. Introduction Outcome of outsourcing Increase of competitiveness Increase of productivity and efficiency Better focus on core competencies Improved organizational flexibility Better access to qualified personnel 8 4

Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 9 2. Domestic law provisions 1. Tax deductibility of service fee payments 2. Withholding tax (section 6) 3. Transfer pricing rules (section 5) 4. Outsourcing to subsidiary : participation exemption 5. Outsourcing to branch (section 4) 6. R&D incentives 10 5

2. Domestic law provisions Tax deductibility of service fee payments 1. Art. 49 ITC 2. Art. 54 and 198.10 & 307 ITC - Payments to tax havens - Reversal of burden of proof : Actual and true transaction Arm s length nature of payment Not a mere artificial construction 11 2. Domestic law provisions R&D incentives Increased R&D investment deduction/tax credit - One-time 14.5 % of investment cost - Spread 21.5 % on depreciation amount - Or tax credit : = 33.99 % x 14.5/21.5 % Payroll wage tax reduction of 80 % Expat status for foreign executives Foreign tax credit on royalty income (15/85) others 12 6

2. Domestic law provisions R&D incentives Patent Income Deduction - Deduction of 80 % of income (ETR 6.8 %) - Income from licensing or part of the sales price - Patents or supplementary protection certificates - Self-developed in R&D center in Belgium or abroad - or acquired and further improved - Outsourcing is allowed but sufficient substance in Belgium (coordination function) 13 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 14 7

3. PE in source state Service Recipient BE/ offshore Outsourcing + payment of fee PE Service Provider offshore /BE 15 3. PE in source state Permanent establishment Art. 5 OECD MC Belgian establishment Art. 229 ITC OECD Comm. Belgian Comm. Fixed place PE/BE Agency PE/BE Service PE/BE 16 8

3. PE in source state 1. Fixed place PE (i) Place of business at disposal Factual or economic right to use E.g. through presence of its own employees E.g. premises of service provider (ii) Fixed More than temporary presence of employees (iii) Used to carry on business of service recipient ( Agency PE ) Intervention of service recipient Under supervision of the service recipient NOT preparatory and auxiliary, NOT supervision and coordination 17 3. PE in source state Example : Ruling dd. 19 June 2012 : Service Recipient offshore Outsourcing IT services Service Provider BE Services performed with own personnel and own equipment of service provider No employees of service recipient in Belgium No PE 18 9

3. PE in source state Service Recipient Outsourcing of warehousing Service Provider Warehouse with goods of Service Recipient No PE (Art. 5 4 a) & b) MC) But Belgian establishment (Art. 229 1, section 2, 9 and 10 ITC) 19 3. PE in source state Service Recipient Outsourcing of manufacturing Service Provider/ toll manufacturer Warehouse with goods of Service Recipient No PE (Art. 5 4, c) MC) Except if SR intervenes in the processing of the goods. 20 10

3. PE in source state Service Recipient offshore Outsourcing of procurement/ sales related activities Branch Belgium Procurement no PE (Ghent 30.11.2004) Direct customer contact or involvement in commercial sales process PE (Brussels 2.5.2001 and Brussels 19.01.2011) 21 3. PE in source state 2. Agency PE (i) Dependent agent (or independent beyond ordinary course of business) (ii) Acting on behalf of service recipient (iii) Authority to conclude contracts in the name of (iv) Habitually exercise authority 22 11

3. PE in source state Entitlement to conclude contracts Negotiate all elements of contract without signing (Com.DTT 5/402 ; ruling 28.2.2012) Bind principal re its core business Direct representation NOT commissionaire (acts in its own name) 23 3. PE in source state Dependent Legally or economically ( Com.DTT) Related or unrelated Legally dependent : - subject to significant control - bound by detailed instructions on performance - no discretionary power re local organization of activities Economically dependent : - No own business risk (remuneration?) - Only one principal? 24 12

3. PE in source state Independent beyond ordinary course of business E.g. commissionaire, broker In terms of activity and obligations of sector Full cycle theory (Com.DTT) - Purchase, production and sales 25 3. PE in source state 3. Service PE Only few DTTs Belgian establishment (Art. 229 2/1 ITC). When a foreign enterprise performs services in Belgium for the same or connected projects through one or more individuals who are present in Belgium and perform services during a period or periods exceeding 30 days within a period of 12 months, the activities carried on in Belgium in performing these services form a Belgian establishment. 26 13

3. PE in source state Case study 1 : contract manufacturing Outsourcing of assembly - Parts & finishedgoodsownedbyc arco - Cost plus remuneration CARCO SUBCAR Finished goods 27 3. PE in source state Case study 2 : call center services ICO Insurance services customers OCO Call center services Negotiate with customers within parameters 28 14

Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 29 4. Attribution of profits to PE Belgium as source state Art. 228 2, 3 ITC : profits realized with intervention of PE Net amount - Expenses that weigh on BE taxable income - Incurred by BE or made by HQ for account of BE - Proportional part of HQ (if allowed by DTT) Arm s lengthprinciple 30 15

4. Attribution of profits to PE Art. 7 2 OECD MC profits which it might be expected to make if it were a distinct and separate enterprise engaged in the same or similar activities under the same or similar conditions and dealing wholly independently. OECD Report on PE allocation (22 July 2010) 2010 update of OECD Commentary 31 4. Attribution of profits to PE Authorized OECD Approach = functionally separate entity approach Step 1 : functional and factual analysis as if separate enterprises allocation of functions, risks and assets based on people functions Step 2 : comparability analysis 32 16

4. Attribution of profits to PE Authorized OECD Approach applied to current DTTs (2005 MC) No official comment of BTA Ambulatory vs static interpretation Ruling Commission and TP Unit 33 4. Attribution of profits to PE Does existence of PE have any impact in case of Agency PE? Principal Agent + AL profit - AL profit 0 34 17

4. Attribution of profits to PE Additional profit to be attributed to PE? Dual taxpayer approach of OECD PE Report Certain risks and economic ownership of assets legally belong to principal Two possible situations : Agent assumes only limited risk but has more full-fledge distributor s profile Risks that are not manageable 35 4. Attribution of profits to PE TP adjustment (Art.9) vs PE allocation (Art.7) Art. 9 : contractual and legal allocation of risks Art. 7 : economic reality and significant people functions. 36 18

4. Attribution of profits to PE Belgium as home state PE exemption on the basis of the DTT Deduction on the basis of Art. 199 ITC Net profit calculated on basis of Belgian rules If no DTT : taxation, no credit 37 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 38 19

5. Transfer Pricing Art. 26 ITC Art. 79 and 207 ITC Art. 185 2 ITC OECD TP Guidelines How to align between jurisdictions? - TP Guidelines - Pan EU databases and inter-quartile range of - APA and MAP 39 5. Transfer Pricing BE Service Recipient offshore Service Provider fee Fee > ALP Art 49, 26 Fee < ALP Art 207 40 20

5. Transfer Pricing offshore Service Recipient BE Service Provider fee Fee > ALP Art 207 Fee < ALP Art 26 41 5. Transfer Pricing Business restructuring in view of outsourcing BE Service Recipient offshore Service Provider Production function Sales function Transfer of something of value? Allocation of anticipated savings 42 21

5. Transfer Pricing customers BE Service Recipient Low cost jurisdiction Service Provider Sale Toll manufacturing con: Restucturing costs pro: low manufacturing costs Avoid business risks? Reduce future losses? 43 5. Transfer Pricing Case study 3 : contract manufactoring and location savings BE Co. A Low cost jurisdiction Co. B Design, produce & sell brand name clothes Outsource manufacturing location savings highly competitive activity no significant risk routine function 44 22

5. Transfer Pricing Case study 4 : Sub-contracting services and location savings BE Co. X Low cost jurisdiction Co. Y highly specialized engineering services sub-contract engineering work share location savings profit split high demand developed valuable IP 45 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 46 23

6. Withholding tax Art. 228 3 ITC BE Service Recipient Service Provider BE Service Recipient Service Provider fee for technical assistance or services e.g. India Argentina Brazil Morocco Tunizia Services in or outside Belgium No DTT & no taxation 33 % on gross income 50 % Treaty reduction 47 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 48 24

7. Impact of anti-deferral regimes No CFC rules Some indirect rules (Art. 54, 198.10, 203, 344 2 ITC) 49 Content 1. Introduction 2. Domestic law provisions 3. PE in source country as a result of outsourcing 4. Attribution of profits to a PE arising from outsourced activities 5. Transfer pricing 6. Withholding tax 7. Impact of anti-deferral regimes on outsourced structures 8. Discussion and Suggestions 50 25

8. Discussion and suggestions No litigation or substantial discussions Agency PE discussion Intangibles Report Discussions on location savings 51 Thank you! 52 26