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Financing through loan capital Fiscal aspects in an international context Bas Opmeer Athens, 4 February 2011
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Presentation subjects The consequences of the financial crisis on public finance Debt finance versus equity finance Anti-avoidance measures Substance over form isn't debt finance in fact to be qualified as equity finance and what are the potential consequences thereof Takeover structures across the border Thin cap measures
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Consequences of the financial crisis Pressure on governments to reduce fiscal deficits Countries are deliberating a cross-the-board review: For example The Van Weeghel government commission in the Netherlands The Mirrlees Review in the UK Relevant in terms of corporation tax: Rates Tax base An important element here is the fiscal treatment of loan capital
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Consequences of the financial crisis (2) Directions of thought: Treat loan capital and equity capital equally by: Introducing an Allowance for Corporate Equity (ACE) Making interest expenses non-deductable (Comprehensive Business Income Tax)
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Debt versus equity finance Debt finance means: Interest as allowance for loan capital is a cost item and as such deductable Generally deductable at the regular corporation tax rate Internationally, interest is generally taxed much lower (can be structured) This means deduction at high rate, taxation at low rate Equity finance means: In principle, no deduction possible for corporation tax CFC regime may be applied when integral taxation is too low Besides corporation tax, equity finance usually leads to double taxation (income tax, dividend withholding tax)
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Conclusion Debt finance is often (much) more attractive than equity finance
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Anti-avoidance measures Regarding: Thin cap measures Earmarking loan capital as equity capital on certain occasions Affects both the interest deduction and the deductibility of a loss for the loan capital provider. Not permitting interest deductions in connection with: Takeover structure aimed at creating a deductible flow of interest Payment and loan-back of dividend (acknowledgement of indebtedness dividend)
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Anti-avoidance measures (2) Have to be in line with international regulations (?) European law: Parent/subsidiary directive and Interest/royalty directive Freedoms under the EC treaty Arbitration Convention: Article 4.1 OECD model treaty: Article 9 Articles 24.4 and 24.5
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Substance over form Can be observed in: Earmarking loans as equity capital financing on its own Examples: Loans that, in effect, act as equity capital, particularly on the basis of the conditions or circumstances under which they are taken out Back to back financing Conduit structures Takeover structures
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Thin cap measures Often used by governments as (safeguard) clear anti-avoidance measure Basic principles: Extent of affiliation of companies may be relevant. Debt/equity ratios on the balance sheet method may differ per country. When debt/equity ratios are exceeded, interest is fully or partially non-deductible method may differ per country. P&L infers what the relevant interest on loan capital is, whose deductibility must be restricted. Maximisation to intercompany interest?
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