1 / 16

Effective structures for the Russian market Holding Financing Royalty

Effective structures for the Russian market Holding Financing Royalty . Globalserve Moscow Seminar September 2013 By Phani Schiza Antoniou. HOLDING COMPANY SELECTION CRITERIA . Substance Minimum. Legal Impediments None. Dividends 0% . Holding Company .

lavender
Télécharger la présentation

Effective structures for the Russian market Holding Financing Royalty

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Effective structures for the Russian marketHolding Financing Royalty Globalserve Moscow Seminar September 2013 ByPhani Schiza Antoniou

  2. HOLDING COMPANY SELECTION CRITERIA Substance Minimum Legal Impediments None Dividends 0% Holding Company Capital Gains 0% Financial Report IFRS Interest Deductibility Yes Legal/ Political / Economic Stable Thin Cap Rules No Advance Ruling Yes Capital Duty Minimal CFC No Minimum Share Capital Yes Treaty Network -yes Withholding Tax 0%

  3. THE CYPRUS HOLDINGCASE Investor • Dividend participation exemption with no conditions • participation exemption on disposal of shares even in trading and without min holding period • Other income taxed corporate tax rate of 12,5% • Low interest margins of 0,125% - 0,35% • Tax regime fully complaint with the EU Tax Code of Conduct Dividend/interest 0% withholding tax 0% on dividend income 0% on disposal 12.5% on net profit arising from interest received based on narrow interest margin Cyprus Hold Co Dividend/ interest Russian Co 5% on dividends EU Co 0% on dividends Other Treaty Co 0-10 on dividends Russian Co 5% on dividends Heaven Co 0% on dividends

  4. THE MALTA HOLDINGCASE Investor • Dividend participation exemption with conditions • CG tax exempted on disposal of shares if participation exemption applies; for trading in securities 35% tax which may be reduced to effective 5% • Other income taxed corporate tax rate of 35% and effective5% • Tax on interest 10%, • WHT on interest from Russia 5% Dividend/interest 0% withholding tax 0% on dividend income 0% on disposal If participation conditions apply 10% on net profit arising from net interest received Malta Hold Co Dividend/ interest Russian Co 5% on dividends EU Co 0% on dividends EU Co 0% on dividends Russian Co 5% on dividends/interest Heaven Co 10% on dividends

  5. THE DUTCH HOLDINGCASE Investor • Dividend participation exemption with conditions • CG Tax on on disposal of shares if participation exemption applies; for trading in securities 20-25% tax • Other income taxed corporate tax rate of 20-25% • Tax on interest differential 20-25%, • WHT on interest from Russia 0% • WHT on outbound dividend if to non qualified 15% Dividend/interest 15% withholding tax on dividend if non qualified 0% on dividend income 0% on disposal If participation conditions apply 20-25% on net profit arising from net interest received Dutch Hold Co Dividend/ interest Russian Co 5% on dividends EU Co 0% on dividends EU Co 0% on dividends Russian Co 5% on dividends/interest Heaven Co 0% on dividends

  6. THE LUXEMBOURG HOLDINGCASE Investor • Dividend participation exemption with conditions • CG Tax on on disposal of shares if participation exemption applies; for trading in securities 28.8% tax • Other income taxed corporate tax rate of 28.8% • Tax on interest differential 28.8%, • WHT on interest from Russia 0% • WHT on outbound dividend if to non qualified 15% Dividend/interest 15% withholding tax on dividend if non qualified 0% on dividend income 0% on disposal If participation conditions apply 28.8% on net profit arising from net interest received LUX Hold Co Dividend/ interest Russian Co 5% on dividends EU Co 0% on dividends EU Co 0% on dividends Russian Co 5% on dividends/interest Heaven Co 28.8% on dividends

  7. Comparison of IP regimes of Cyprus / Luxembourg and Netherlands

  8. CYPRUS IP COMPANY Parent Co • Achieves offshoring of royalties with no WHT • Uses Cyprus treaty network and EU royalties directive • (12,5%) corporation tax on 20% of profits from IP income – effective tax (2,5%) • No tax in Cyprus on dividend flows • No WHT on dividends from Cyprus Company • If Cyprus Company owns IP outright, amortization available over 5 years Dividends 0% Cy IP Co Royalties (2,5%) EU Op Co 0% WHT Russia 0% WHT

  9. DUTCH/ LUX IP COMPANY Parent Co • Uses treaty network and EU royalties directive to minimise WHT • (28.8%) corporation tax on 20% of profits from IP income – effective tax (5.85%) • For NL 5% • Tax on dividend flows may be zero if participation exemption Dividends NL/LUX IP Co Royalties (5% NL 5.85% LUX) EU Op Co 0%WHT Russia 0% WHT

  10. AS A FINANCE COMPANY for Russia • PROFITS REDUCED IN OPERATING COUNTRY DUE TO THE INTEREST PAID TO FINANCING CY CO • SMALL MARGIN TAXABLE AT 12.5% IN CYPRUS ON NET PROFIT MADE OF SMALL INTEREST DIFFERENTIAL VARYING FROM 0.325%-0.125% • NO WITHHOLDING TAX WHEN INTEREST IS PAID TO OFFSHORE LENDER • THE FINANCING CO SHOULD BE DIFFERENT FROM THE HOLDING CO IN THE RUSSIAN OPERATING CO TO AVOID CFC RULES • THE CY FINANCING CO SHOULD NOT HAVE SUBSTANTIAL INCOME FROM OTHER OPERATIONS TO AVOID DEFENCE TAX TAXATION ON INTEREST AT 30% • IN THE CASE OF LUX AND NL THE TAX ON INTEREST MARGIN IS 28.8%AND 20-25% RESPECTIVELY OFFSHORE COMPANY CYPRUS FINANCING OPERATING CO

More Related