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Published byMoris Clyde Wilcox Modified over 9 years ago
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Taxation Update 18 October 2005
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Taxation Update Tax strategy Income derived from land & property Corporate income tax Distributable Profits Charge International issues
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Taxation Strategy Background International considerations “0/10”
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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%
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Company Rates of Tax 2%- Banks’ income from reserves 0%- General rate for companies 20%- Understated income
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Timing April 2006 0/10 Distributable Profits Charge April 2007 Exempt/international companies repealed Land transactions New income tax regime for companies
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Income Derived from Land Consultation Document Introduction of schedular system 10% rate on the schedule Legislation for property development income
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Income Derived from Land schedular system includes Rental income Property development Trading New charging provision Other e.g. mineral extraction
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Income Derived from Land Property development income Changes to Part 3 IT (Amendment) Bill 2005 5 year ownership Principal private residence exemption Disposal by a non-resident Development levy
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Company Income Tax Timing Consultation Legislation Commencement Basis of assessment Accounts period basis Computation
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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)
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Company Income Tax Compliance in a zero rate regime Default assessments Flat-rate penalties Investigation rate of tax
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Company Income Tax Transition Option 1 (Corporate Tax Working Party) 5 years Move payment dates Option 2 1 Year Taper relief Other Options
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Distributable Profits Charge Income Tax (Amendment)(No.2) Bill 2005 Consultation DPC “Big Guide” Regulations early 2006
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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
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Distributable Profits Charge Timing of distributions 3 year averaging Current/ future years Resident interest Look through
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Distributable Profits Charge Distributable Profits Charge The charge Only for “non- distributing company” 55% x 18% trading/100% x 18% non- trading Resident interest
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Distributable Profits Charge Co A Resident Non - Resident Resident 50% 10% Non- Resident 90%
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Distributable Profits Charge Payment Treatment of interim distributions Interest charge for late payment
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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
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International Issues TIEAs Netherlands Others EU EUSD OECD
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Taxation Update QUESTIONS ?
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