2011 Tax Reform in Japan to encourage the issuance of Japanese version of Sukuk al Ijara Mr. ● ● ● ● ●, Esq. City-Yuwa Partners, Tokyo

Slides:



Advertisements
Similar presentations
ISLAMIC CAPITAL MARKETS. Main function is to facilitate transfer of investable funds from those having surplus to those requiring funds. Achieved by selling.
Advertisements

Cyprus International Trusts A tool for international tax planning 29 September 2014.
An Overview of Sukuk: Size, Basics and the Role of Sharia Advisors
FROM PRINCIPLES TO PLANNING Cross-Border Ownership of Real Estate - Canada FROM PRINCIPLES TO PLANNING.
Dividend and Interest 7 June Dividend and InterestPage 2 Article 10 of the UN MC – A snapshot  Article 10(1) – Distributive Rule  Article 10(2)
Islamic Real Estate Securitisation Abradat Kamalpour Partner Dechert LLP London
Sukuk (1).
Islamic Finance Legislation – Selected UK Experience Puzant Merdinian, SJ Berwin LLP April 2009 CP2: St East and Central Africa Conference on.
1 SIICs and OPCIs Listed and unlisted real estate investment schemes in France Marc Cretté FIDAL.
Chapter Nine Corporate Financial Structure. Corporate Finances: Key Terms  Security: a share, participation, or other interest in property or an enterprise.
Bus 225D – International Transactions II Instructor: Carol Rutlen, CPA
Investing 101. Types of Savings tools Savings Account: An interest-bearing account (passbook or statement) at a financial institution. Certificates of.
Real Estate Investments in Italy made by foreign investors: FOREIGN COUNTRY  Direct investment Investment through Italian Real Estate Investment Fund.
Page 1 Business income and associated enterprise Prashant Khatore.
 Islamic Finance: Integration into the Financial Mainstream Adapting Western Tax Systems to Accommodate Islamic Finance Mohammed Amin 28 May 2008.
Ministry of Economy and Finance Public Revenues and Taxes Department Main features of the new Income Tax Law December 2009.
MODULE 14. REAL ESTATE SYNDICATION What is a Syndication? w Organizational Form of Ownership w Types of Syndicate Offerings w Reasons for Syndication.
Leading Tax Advice in Cyprus... and across the World Cross Border transactions via Cyprus Case analysis Prague, 17 th June 2010.
Maximising tax efficiency 22 November 2006 Eleanor Watts.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
American Citizens Abroad Town Hall Seminar Daniel Hyde 23 September 2013.
1 §1411, Passive Activities and Planning Opportunities AGC Financial Issues Forum January 2014.
Chapter Objectives Be able to: n Explain the difference between capital income and business income. n Apply the general rules in determining capital gains.
9-1 Non-Corporate Forms of Business  Sole Proprietorship  Partnership  LLC  S corporation.
Johan Boersma TAXATION OF COMPANIES IN THE CZECH REPUBLIC.
Transfer Pricing & Expatriate They Could Cross! August 20, 2015 UTA Mary K. Thomas Weaver, LLP Slide 1.
1 The conflict between the Shari’a and conventional business and finance laws – a practitioner’s perspective Richard T de Belder Partner Denton Wilde Sapte.
Johan Boersma TAXATION OF INDIVIDUALS IN THE CZECH REPUBLIC.
1 Taxation of Inbound Transactions Recall definition of an inbound transaction Two taxing regimes: Passive investment income 30% tax on gross income (many.
FINANCIAL INSTITUTIONS ENERGY INFRASTRUCTURE AND COMMODITIES TRANSPORT TECHNOLOGY United Kingdom: First Corporate Sukuk Shatha Ali Associate Norton Rose.
Chapter 12 Partnership Distributions
Chapter 24 Chapter 24: The Role of Real Estate Investment Trusts (REITs) Andrew Davidson Anthony B. Sanders Lan-Ling Wolff Anne Ching.
U.S. Real Estate Investment Trusts: REIT
12-1 Contributions to Corporations in Exchange for Stock Section 351 No gain/loss recognized on transfers of property to corporation in exchange solely.
SECURITIZATION By Dr. Muhammad Imran Usmani.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 10 International Business Expansion.
Prepared By : Khaled Hamalawi Supervised By Ibrahim Sammour.
Horlings is a world-wide network of independent accountants and consultants firms 6 February 2009 The Dutch co-operative Nexia European Tax Group Meeting.
September 26, 2008CFH Cordes + Partner Tax-Update Germany European Tax Group Meeting September 26, 2008 in Dubrovnik CFH Cordes + Partner Wirtschaftsprüfer.
Non U.S. Persons in the Estate Plan Chapter 20 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 What is it? Note:
Chapter 20 Ownership Structures for Financing and Holding Real Estate.
©2011 Cengage Learning. Chapter 17 ©2011 Cengage Learning INCOME TAX ASPECTS OF INVESTMENT REAL ESTATE.
Multiple Asset Locations Jakub Karnowski, CFA Portfolio Management for Financial Advisors.
Stockholders’ Equity Three primary forms of business organization The Corporate Form of Organization ProprietorshipPartnershipCorporation.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
Dividend income no longer a sweet exempt pie!!. 2 Finance Act, 1997 bought about a radical change in the system of taxing distribution of dividends by.
Organizational Forms for Small Business Chapter 27.
Moinuddin Ul Islam Farhanah Mohd Mokhtar
Islamic Equity Financing and Islamic Assets Financing.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
Companies & Dividends Mr Arvin Ajay Sami
Forming and Operating Partnerships
Income Taxation of Trusts
Forming and Operating Partnerships
HIGHLIGHTS OF CYPRUS TAX SYSTEM & TAX BENEFITS FOR THE NON DOMICILE CYPRUS TAX RESIDENTS By Marios Efthymiou Managing Director.
SECURITIZATION By Dr. Muhammad Imran Usmani.
Chapter 14: Income Taxation of Trusts & Estates
Forming and Operating Partnerships
Simon Thang, Thorsteinssons LLP
Tax Accounting.
Income tax and Deferred tax
Introduction to Sukuk: Definitions and Role in Economic Development
Kevin J. Collins, CPA/PFS, MST
The firm Michael Damianos & Co LLC is a Cypriot boutique law firm with a strong corporate, banking, energy and private client focus. The firm has a highly.
Kevin Smits
ISLAMIC CAPITAL MARKETS
The firm Michael Damianos & Co LLC is a Cypriot boutique law firm with a strong corporate, banking, energy and private client focus. The firm has a highly.
Chapter 12 Partnership Distributions
SECURITIZATION By Dr. Muhammad Imran Usmani.
LIMITED PARTNERSHIPS AND LIMITED LIABILITY PARTNERSHIPS
Presentation transcript:

2011 Tax Reform in Japan to encourage the issuance of Japanese version of Sukuk al Ijara Mr. ● ● ● ● ●, Esq. City-Yuwa Partners, Tokyo July 2011

General In 2011 Tax Reform, “Asset Liquidation Law” has been amended to encourage the issuance of Sukuk al Ijara. Originally “Asset Liquidation Law” was enacted exclusively for asset securitizations and has been widely used for the securitization of receivables and real estates, which is “asset backed transaction”. “Asset Liquidation Law” was amended so that the Law can be used for Sukuk al Ijara, which is “asset based transaction”. “Tax Special Measurement Law” was also amended to provide certain tax advantages to Sukuk al Ijara issued pursuant to the amended “Asset Liquidation Law”.

The issues solved by the new legislation The bonds cannot be used for Islamic finance because of prohibition of Riba. Certain types of the trusts are subject to corporate taxation. However, the tax is imposed on the trust level and the investors’ level (double taxation) (cf: General principle: A beneficiary is a tax payer in respect of the income from the trust.) The withholding tax on the distribution from the trust makes the Japanese version of Sukuk unattractive to Islamic investors. The tax on the real estate transaction makes the transaction expensive.

“Special Bond Type Beneficial Interest”-New concept “Special Bond Type Beneficial Interest” has been introduced into the “Asset Liquidation Law”. It is a type of the beneficial Interests in a trust created in accordance with “Asset Liquidation Law” If certain requirements are met, “Specific Bond Type Beneficial Interest (or trust certificate)” is treated as if it is a bond.

④ Purchase Price Structure of Sūkuk-al-Ijara under the 2011 Tax Reform of Japan Specified Purpose Trust (SPT) [Note 1] ① Sukuk (Bond Type Trust Certificate) Originator ① Entrustment of Asset ③ Rent Islamic Investors (Non resident, foreign corporation without any permanent establishment in Japan) ② Ijara ④ Repurchase pursuant to Undertaking [Note 3] ④ Repayment Islamic Investor Transfer Price [Note 4] Real Estate ③ Periodic distribution ① Trust Certificate [Note 2]

[Note 1] Periodic Distribution is deductible even if Sukuk are offered outside Japan (General rule of “Asset Liquidation Law) In order to be qualified for the deduction of the amount of the distribution for the purpose of the corporate tax in the trust level, more than 50 % of the securities must be offered to domestic investors and more than 90 percent of the retained earnings must be distributed. (Exemption for “Bond Type Beneficial Interest) Exempted from the requirement of more than 50% of the securities being offered in the domestic market.→Advantage for the trust issuing Sukuk to foreign investors

[Note 2] Exemption from tax imposed on the transfer of the real estates (General) In Japan, the transfer of a real estate is subject to the Registration Tax (or fee) (1.3% of price) and the Real Estate Acquisition Tax (currently 3% of value) (Purchase undertaking at the time of redemption of Sukuk) Registration Tax and Real Estate Acquisition Tax will be exempted when the real estate is repurchased by the Originator.

[Note 3] Equal treatment with bonds-distribution and redemption (General rule) In the case of the “trust subject to corporate taxation”, there is a double taxation in the trust level and the investor level. (Treated as if shares) (Sukuk investors) Exemption from the withholding tax on the interests and the profit from redemption. (Treated as if bonds)

[Note 4]Exempt of income tax with respect to the transfer of sukuk In general, if the trust asset is a real estate, the income from the transfer of the beneficial interest in a “trust subject to corporate taxation” will be deemed as the domestic source income and included in the income for the tax purpose. However, under the 2011 Tax Reform, the income from the transfer of the beneficial interest in the “Special Bond Type Trust Certificate” will be excluded from the taxable income.

Issues to be discussed(1) Only applicable to Sukuk al Ijara. In particular the Sukuk assets are real estates. Different from the Sukuk issued in other jurisdictions, the declaration of trust is not used. (cf: The Trust Law (general law) has a Japanese version of the declaration of trust.) The definition of Bond type Beneficial Interest - fix amount or libor + ●% - is sharia compliant? The principal amount is redeemed only at the final distribution. – Restriction on the structures.

Issues to be discussed(2) The restriction on the trust assets. Mudaraba interest or Musharaka interest are not allowed to be entrusted under “Asset Liquidation Law”. (cf: The Trust Law (general law) permits.) → The new legislation is not applicable to Mudaraba Sukuk, Musharaka Sukuk. The investors (beneficiaries) do not have a voting right in respect of the management of the trust, except the termination of the trust, the approval of the accounting and the change of the trust proposed by the trustee. – Not attractive to Islamic investors?

Thank you Mr. ● ● ● ● ●, Esq. City-Yuwa Partners 2-2, Marunouchi 2-Chome, Marunouchi-Mitsui Bldg. Chiyoda-ku, Tokyo Japan Tel: 81-(03) ● ● ● ●