Taxation Update 18 October 2005
Taxation Update Tax strategy Income derived from land & property Corporate income tax Distributable Profits Charge International issues
Taxation Strategy Background International considerations “0/10”
10% Rate for Companies Licensed banks, banking business Post-importation or wholesaling of goods by branches and subsidiaries of non-resident companies Income from land and property Companies that elect to pay 10%
Company Rates of Tax 2%- Banks’ income from reserves 0%- General rate for companies 20%- Understated income
Timing April /10 Distributable Profits Charge April 2007 Exempt/international companies repealed Land transactions New income tax regime for companies
Income Derived from Land Consultation Document Introduction of schedular system 10% rate on the schedule Legislation for property development income
Income Derived from Land schedular system includes Rental income Property development Trading New charging provision Other e.g. mineral extraction
Income Derived from Land Property development income Changes to Part 3 IT (Amendment) Bill year ownership Principal private residence exemption Disposal by a non-resident Development levy
Company Income Tax Timing Consultation Legislation Commencement Basis of assessment Accounts period basis Computation
Company Income Tax Pay and file Within 9 months from end of period of account 12 month review period Discovery (S84A ITA 1970) Reduction request (S107 ITA 1970)
Company Income Tax Compliance in a zero rate regime Default assessments Flat-rate penalties Investigation rate of tax
Company Income Tax Transition Option 1 (Corporate Tax Working Party) 5 years Move payment dates Option 2 1 Year Taper relief Other Options
Distributable Profits Charge Income Tax (Amendment)(No.2) Bill 2005 Consultation DPC “Big Guide” Regulations early 2006
Distributable Profits Charge What is a distributing company? Distributes 55%/100% 10% tax paying companies Tax exempt bodies Companies where members are unable to benefit from a distribution PLC traded on recognised stock exchange
Distributable Profits Charge Timing of distributions 3 year averaging Current/ future years Resident interest Look through
Distributable Profits Charge Distributable Profits Charge The charge Only for “non- distributing company” 55% x 18% trading/100% x 18% non- trading Resident interest
Distributable Profits Charge Co A Resident Non - Resident Resident 50% 10% Non- Resident 90%
Distributable Profits Charge Payment Treatment of interim distributions Interest charge for late payment
Distributable Profits Charge The Calculation Change resident/non-resident shareholding Double taxation relief Foreign income taxed at more than 18% Foreign income taxed at less than 18% Groups
International Issues TIEAs Netherlands Others EU EUSD OECD
Taxation Update QUESTIONS ?