THE NETHERLANDS REFUGE FOR FOREIGN HIGH NET WORTH INDIVIDUALS

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Transcription:

THE NETHERLANDS REFUGE FOR FOREIGN HIGH NET WORTH INDIVIDUALS Laurens Lor 1

Introduction (1) A number of European countries offer preferential tax regimes to foreign high net worth individuals taking up residence there To support local economy (e.g. new businesses; housing market; consumption) To increase state revenues Common denominator: low income taxation (e.g. on lump sum or local source income) No taxation on investment income / foreign source income (sometimes, provided income kept abroad e.g. UK remittance rules) Often: no access to tax treaty protection 2

Introduction (2) Examples of European countries with preferential tax regimes for foreign high net worth individuals: United Kingdom Non-domiciled residents Switzerland Pauschalbesteuerung Spain Impatriate regime Portugal Non habitual resident regime 3

Introduction (3) The Netherlands: 1)High net worth individuals considering living there: NO general preferential tax regime for foreign individuals BUT: similar benefits may be available under tax regime for foreign expatriate employees (the 30%-arrangement) 2)High net worth individuals living in European country with preferential tax regime: if no tax treaty protection available to foreign source income/assets: Netherlands company may give access to Netherlands tax treaty network 4

The Netherlands: 30%-arrangement (1) 30%-arrangement - Benefits: Preferential tax regime for foreign expatriate employees If living in The Netherlands, expatriate employee can opt for partial nonresident tax status in effect, Netherlands income tax exemption for income (dividends/capital gains) from substantial shareholdings ( 5%) in foreign companies passive investment income (notionally, 4% of net-worth) 30% of the expatriate employee s salaries can be paid tax-free Reducing the top income tax rate to as low as 36.4% Generally, income taxation only on Netherlands source employment income Term of benefits: maximum 8 years 5

The Netherlands: 30%-arrangement (2) Conditions: The employee is newly hired from abroad, or seconded to the Netherlands The employee has specific expertise that is not available or is scare in the Netherlands labour market generally, deemed met if the employee s annual gross salaries amount to more than 36,378 (2014) In the 24 months before taking up employment in The Netherlands, the employee lived for at least 16 months outside a 150 kilometre radius of the Netherlands border General condition: A non-eea (European Economic Area) employee must generally apply for a residence/work permit annual gross salary of at least 50,183 ( 30,802 for the under 30); or a net worth of at least 1,250,000 to be invested into projects with added value to the Netherlands economy (new jobs or innovation) 6

The Netherlands: 30%-arrangement (3) Examples of use by foreign high net worth individuals: High net worth individual is employed and arranges to be seconded to the Netherlands High net worth individual operates a business through a foreign company and takes up employment with a (newly created, or existing) Netherlands subsidiary of the foreign company 7

Individual in another European country A foreign high net worth individual resides in a European country (under a preferential tax regime) and receives income from third countries, e.g. royalties. High net worth individual salaries Netherlands BV royalty Party in third country Often, under a preferential tax regime, the high net worth individual cannot claim the benefits of the double tax treaties of his country of residence By interposing a Netherlands company (BV), the high net worth individual could benefit from reduced rates of (and often, exemption from) withholding tax under the relevant Netherlands double tax treaty Where the high net worth individual does not reside nor work in the Netherlands, the salaries paid to him by the Netherlands BV are exempt from taxation in the Netherlands 8