STEP Silicon Valley Ireland: Gateway to Accessing the EU Market

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STEP Silicon Valley Ireland: Gateway to Accessing the EU Market Mark O Sullivan and Pat English August 17, 2016 Financial Times 2012-2015 Matheson is ranked in the FT s top 10 European law firms 2015. Matheson has also been commended by the FT for corporate law, finance law, dispute resolution and corporate strategy. Irish Transfer Pricing Firm of the Year 2015 International Tax Review European Law Firm of the Year 2015 Hedge Fund Journal Law Firm of the Year 2014 Irish Pensions Awards

Overview Irish Corporate Tax regime overview Legal Framework and Business Environment Corporate Compliance Environment Intangibles planning Impact of OECD BEPS project EU developments Brexit Structuring 2

Irish Corporate Tax Regime 12.5% rate of corporate income tax for trading activities 25% rate for passive income Amortization regime for intangibles IP Box (knowledge development box) for qualifying R&D expenditure 6.25% effective rate R&D Tax Credit for qualifying R&D carried on in Ireland Holding company regime Dividends received from treaty resident subs and subs with a listed parent company taxed at 12.5% Foreign tax credits can typically ensue no list tax is paid on dividends (using onshore pooling) Substantial shareholding exemption for gains on qualifying shares 3

Irish Corporate Tax Regime Good treaty network (72 treaties in place) Withholding tax exemptions Interest: payments to EU/treaty jurisdictions Dividends: payments to treaty residents and listed entities Royalties: exemption for payments to treaty residents No CFC rules until EU Anti-Tax Avoidance Directive (EU ATAD) regime comes into force in 2019 No thin capitalisation rules Exit taxes can be avoided (until EU ATAD is effective from January 1, 2020) Rulings from tax authorities are not generally required 4

Non-tax Considerations / Attractions EU Membership Free movement of workers and capital Single conformed approach to customs, duties and VAT Regulated businesses can passport across over 27 member states Physical and time zone proximity to Europe English speaking, similar legal systems and work culture Ability to build real businesses using human infrastructure 5

Legal Framework and Business Environment Common law, concepts and principles very similar Corporate law regime similar to US Employment laws derived from EU law, no employment at will EU Data privacy rules Pro-business interpretation of rules, eg employment and data privacy laws vs other EU jurisdictions

Corporate Compliance Environment in a nut shell Straightforward business-friendly regime Companies Act 2014 the key legislation effective from June 1, 2015 New company types & resulting practical changes transition period Reform of directors disclosure rules Codification of directors duties Directors Compliance Statements Audit Committees Summary Approval Procedure (SAP) Domestic statutory merger regime New distribution rules Unlimited companies / flexible capital maintenance rules 7

Practical implications post June 1, 2015 Summary Approval Procedure (SAP) one general application to a number of restricted activities, subject to certain conditions NB possibility of share capital reduction using the SAP Domestic statutory merger regime for the first time based largely on the EU cross-border merger regime NB must involve at least one limited company New distribution rules / dividends finally, confirmation that it s a book value test Unlimited companies / flexible capital maintenance rules distribution rules and other restrictions no longer apply significant change 8

Corporate Compliance Hot Topics Company conversions under CA 2014 Name changes under CA 2014 Watch out for DACs and ULCs! Changes to non-filing structure for ULCs Companies (Accounting) Bill 2016 Continued use of ULCs to avoid Directors Compliance Statements and avail of increased flexibility afforded to ULCs generally, in particular from a cash / asset repatriation perspective 9

Intangibles Planning - Amortisation Regime Effective Tax Rate Qualifying IP Qualifying Income Capital Gains Acquired IP Onshore R&D Interest Other 0% - 12.5% (deduction of up to 100% of trading income) Very broad: includes patents, trademarks, brands, copyrights, software, secret information, know-how, licenses, goodwill related to intangibles etc. Trading income from (a) sale of goods/services that derive greater part of their value from IP or (b) managing, developing or exploiting the IP Not covered. But alternative exit strategies are available. Regime applies to either (i) self-developed IP or (ii) IP acquired from group company or third party Not required Interest on intragroup borrowings to acquire IP is deductible. No stamp duty, net wealth tax or other taxes 10

Knowledge Development Box The Good 6.25% rate Inclusion of copyrighted software R&D outsourced to third party providers is qualifying spend Valuable relief for taxpayers with right fact profile The Bad Limitation on qualifying expenditure R&D expenditure incurred by EU branches non-qualifying 31 December 2020 review date (though extension likely) The Ugly Tracking and tracing (Revenue guidelines due shortly) Acquisition of IP dilutes potential benefit

Knowledge Development Box Effective from 1 January 2016 OECD / EU compliant i.e. Modified Nexus Applicable tax rate 6.25% Qualifying Expenditure + Uplift Overall Expenditure Qualifying Profit Income Taxable @ 6.25% Qualifying IP Assets: Patents and assets functionally equivalent to patents. Includes patents and software copyrights but excludes trademarks and marketing intangibles. Qualifying Profit: Profit attributable to Qualifying IP Assets Qualifying Expenditure: R&D performed in Ireland + Third Party Outsourcing Uplift: for Acquisition Costs and Group Outsourcing (limited to 30% of Qualifying Expenditure). Overall expenditure: Qualifying expenditure + Acquisition Costs + Group Outsourcing 12

R&D tax credit 25% tax credit on Qualifying R&D expenditure, in addition to corporate tax deduction (at 12.5%) Up to 15% of R&D expenditure may be subcontracted Expenditure anywhere in EEA (as long as not deductible elsewhere) Using R&D tax credits Against current year corporation tax Against prior year corporation tax Cash refund over three years Carry forward indefinitely Offset against income tax liability of key R&D employees 13

BEPS Implementation in Ireland Action Direction Result 1. Digital Economy n/a No action 2. Hybrids Common Approach Ireland nothing but EU ATA Directive #5 3. CFC Rules Best Practice Ireland nothing but EU ATA Directive # 1 4. Interest Common Approach Ireland nothing but EU ATA Directive # 4 5. Harmful Tax Practices Minimum Standard (i) KDB; (ii) Exchange of Rulings 6. Treaty Abuse Minimum Standard Treaty update through MLI 7. PE Minimum Standard Treaty update through MLI 8/9/10. Transfer Pricing Minimum Standard OECD vs non-oecd 11. Measuring BEPS n/a n/a 12. Mandatory Disclosure Best Practice Ireland has mandatory disclosure rules 13. TP Documentation Minimum Standard CbC rules adopted wef 01/01/16 14. Dispute Resolution Minimum Standard Treaty update through MLI 15. Multilateral Instrument n/a Ireland actively participating

EU Tax Update 2015 2016 Proposals on Tax Rulings Action Plan for Fair and Effective Corporate Taxation Review of Interest and Royalties Directive New Rules on Patent Boxes Code of Conduct Reform ATA Directive Recommendations on Tax Treaties External strategy for Effective Taxation Public Country by Country Reporting Relaunch of CCCTB 2017 Proposal on list of third countries Transfer pricing Tax rulings

EU Anti-Tax Avoidance Directive CFC Rules Exit Taxation Interest Limitation Hybrids General Anti-Abuse Rule

Brexit UK decision to leave the EU impacting on investment decisions Ireland the only English speaking jurisdiction remaining Uncertainty going forward in context of key EU membership benefits (free movement of workers, VAT, customs duties, regulatory passports) Future UK corporate tax measures more of the carrot and less of the stick?

Structuring: What s happening in practice? Onshoring IP Some early movers 2014-2016 For existing Irish operations, onshoring aligns taxable profits with substance Headline rate of 12.5% is very competitive IP amortisation regime for IP buy-in means low effective rate Irish grandfathering provisions extend to 31 December 2020: Changes to TP guidelines, TP audits may accelerate decision NB : Plan to onshore IP should be socialised with senior management at early stage as there are significant commercial and legal diligence matters to be addressed 18

Structuring: What s happening in practice? Onshoring: traps for unwary Is IP jurisdiction future-proof? Stability of jurisdiction and tax regime Robust position on TP where are the DEMPE functions? Impact on CBCR Accessing Ireland s amortisation regime must incur expenditure Where current structure is offshore IP holding company with Irish branch, risk of residual charge to tax if any IP is branch asset 19

Irish Onshoring of IP Irish registered non-resident company transfers IP to OpCo for cash or a note US Holdoco OpCo utilises the acquired IP for the purposes of its trade in Ireland and claims amortisation relief on the acquisition cost Capital cost deductible in line with the amortisation in OpCo s accounts - deduction also available for interest paid by OpCo (if IP acquisition debt financed) Deductions previously limited to 80% of trading income from exploitation and management of acquired IP, but this restriction does not apply for accounting periods commencing on or after 1 January 2015 tax rate of between 0% and 12.5% possible Applies to self developed or acquired IP No claw-back where IP is held for 5 years Unutilised relief may be carried forward as NOL on unrestricted basis Cash / Note IRNR Transfer of IP OpCo (Ireland)

BIOs Mark O Sullivan Mark O Sullivan is a partner in Matheson s Tax Department and advises on all aspects of Irish corporate taxation. His primary focus is advising US clients establishing operations and doing business in and through Ireland. Mark also advises extensively on all aspects of international tax planning, including IP planning, cross-border reorganizations, transfer pricing and financing transactions. Mark has been based in the firm's Palo Alto office in Silicon Valley since 2007. Palo Alto office T: +1 (650) 617-3351 E: mark.osullivan@matheson.com 21

BIOs Pat English Pat English is a partner and senior member of the US Business and Inward Investment Groups at Matheson. Pat practises corporate law focusing primarily on advising overseas clients on establishing operations and doing business in and from Ireland. In addition to advising on establishment projects, Pat advises a broad range of international, and in particular US, clients on international corporate reorganisations, pre and post-integration transactions, cross border mergers and general commercial contracts, corporate governance and compliance issues and strategies. Dublin office T: +353 1 232 2330 E: pat.english@matheson.com 22