Effective. Tax Planning Structures

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Effective Tax Planning Structures

DOUBLE TIER FINANCING Structure Layout Tax Benefits Settlements OffCo CyCo 1 CyCo 2 EQUITY Offshore company (OffCo) grants loan to Cyprus company (CyCo1). No need for offshore company to have beneficial DTT with Russian Federation CyCo1 (holding company) utilises the funds received making a capital contribution to CyCo2 (100% subsidiary) CyCo2 grants an interest bearing loan to Foreign company () which could be a Russian entity No withholding tax deducted on payment of interest from CyCo1 to OffCo Interest expense of CyCo1 will be tax deductible as the investment is in 100% subsidiary after 1/1/2012. The tax loss of CyCo1 (created by interest expense) can be deducted against interest income of CyCo2 (application of group relief) with only a margin left to be taxed CyCo2 is regarded as the beneficial owner of interest from since it does not pay substantial part of the interest to a non-treaty country Repayment of interest could be made by way of dividend distribution Provision of interest bearing loan by CyCo2 to CyCo1, that could be eliminated through reduction of capital of CyCo2 (applicability of group relief) Provision of non-interest bearing loan by CyCo2 to CyCo1 (need tax ruling) Issue of redeemable shares by CyCo2

NOTIONAL INTEREST DEDUCTION (NID) Structure Layout Tax Benefits Supplementary Info OffCo CyCo EQUITY Offshore company (OffCo) introduces new equity to Cyprus company (CyCo) New equity covers for funds or in-kind payments introduced into the share capital or share premium of the company after 1 January 2015 and which have actually been paid or used in the operations of the company No withholding tax deducted on payment of dividends from CyCo to OffCo Notional Interest Deduction (NID) is available to CyCo Low tax on profit (12.5% income tax) Any new equity introduced that directly/indirectly emanates from reserves existing as at 31 December 2014 but does not relate to the financing of new assets used in the business is not deemed as new equity The rate to be used for the calculation of the NID is the yield of the 10 year government bond of the country in which the new equity is invested plus 3% premium, with the minimum rate being the equivalent of the 10 year Cyprus government bond as at 31 December of the tax year preceding the relevant tax year plus 3% premium. It should be noted that the interest of the 10 year government bond of Cyprus at 31/12/2014 is 5.037% The NID is tax deductible to the extent that it relates to business assets and cannot exceed 80% of the taxable income of the company for the year CyCo grants an interest bearing loan to Foreign company () which could be a Russian entity No withholding tax deducted on payment of interest from to CyCo Interest payment is deductible in Where new equity is derived directly/ indirectly from the new equity of another Cyprus company then the NID on new equity is available only to one of the two respective companies Where new equity arises directly/indirectly from loans on which interest expense deduction was claimed, the NID is reduced by the amount of the interest expense deduction claimed Where new equity is contributed in the form of assets in kind, the amount of equity used for NID calculation may not exceed the market value of the assets at the date the assets are introduced into the business The Tax Commissioner may reject the granting of the NID if in his judgment the following occurred: - The company entered into transactions without substantial economic or commercial purpose - The new equity emanates from equity that existed prior to 1 January 2015 and is presented as new equity through actions with related parties

Intellectual Property (IP) BOX REGIME Structure Layout Tax Benefits Example OWNER OF IP (OffCo) SELL IP Owner of IP (OffCo) sells to Cyprus company (CyCo) who will become the new registered owner of IP OffCo may also lend CyCo thus financing the purchase transaction of the IP No withholding tax deducted on payment of interest from CyCo to OffCo Taxation of income from IP ( ) Annual Royalty Income 1,000 Direct Expenses -300 Gross Profit 700 80% deduction -560 Indirect expenses -40 Taxable Profit 100 CyCo LICENSE CyCo leases the IP to Foreign company () which could be a Russian entity Any expenditure (of a capital nature) incurred for the development or acquisition of intangible assets is amortised equally over a 5 year period Eighty per cent (80%) of the profit arising from the use of owned IP, and 80% of the profit from the sale of IP is deemed as an expense in arriving at the taxable income Income tax 12.5% -12.5 Net Profit after tax 87.5 Taxation on sale of IP ( ) Cost of acquisition of IP 10,000 Amortisation for 3 years -6,000 Net Book Value 4,000 Sales Proceeds 15,000 Companies may join the Cyprus IP regime before 30 June 2016 and can benefit from substantial savings until mid-2021 License expense is tax deductible in OffCo Profit on sale of IP 11,000 80% deduction -8,800 Taxable Gain 2,200 Income tax 12.5% 275

Intellectual Property (IP) BOX REGIME WITH NID OWNER OF IP (OffCo) CyCo CONTRIBUTION OF IP LICENSE Structure Layout Owner of IP (OffCo) contributes IP as new equity to Cyprus company (CyCo) who will become the new registered owner of IP CyCo leases the IP to Foreign company () which could be a Russian entity Companies may join the Cyprus IP regime before 30 June 2016 and can benefit from substantial savings until mid-2021 Tax Benefits No withholding tax deducted on payment of dividends from CyCo to OffCo CyCo is entitled to Notional Interest Deduction (NID) Any expenditure (of a capital nature) incurred for the development or acquisition of intangible assets is amortised equally over a 5 year period Eighty per cent (80%) of the profit arising from the use of owned IP, and 80% of the profit from the sale of IP is deemed as an expense in arriving at the taxable income License expense is tax deductible in OffCo

Michalis Avraam & Partners Limited has taken all reasonable care to ensure that this booklet is accurate. The information contained herein is a summary of the relevant laws and is designed to increase the general awareness of the cyprus Tax System. readers are advised to verify this information to ensure that it applies in their particular circumstances. for specialist advice or further clarifications you may contact one of our professional consultants. Michalis Avraam & Partners Limited 8 Digenis akritas avenue, office 403 cy-1045 nicosia, cyprus Tel: +357 22346080 fax: +357 22346020 e-mail: info@amicha.com www.amicha.com