Real Estate Investment Trusts The Beginning!

Similar documents
How To Encourage A Uk Real Estate Investment Trust

Real Estate Investment Trusts (REITs): Tax Policy Rationale

Real Estate Investment Trusts

STANDARD LIFE INVESTMENTS PROPERTY INCOME TRUST LIMITED

March Recruitment Services Recruitment Process Outsourcing (RPO)

Real estate and infrastructure in Ireland A fresh perspective

The Scottish Investment Trust PLC

How to qualify as a uk-reit

Factsheet Phoenix Autocallable Notes April 2012

AIFMD means Directive 2011/61/EU of the European Parliament and of the Council of 8 June 2011 on Alternative Investment Fund Managers, as amended.

CITI GLOBAL INTEREST RATES STRATEGY INDEX FUND SIMPLIFIED PROSPECTUS. Dated 4 August 2010

Introducing SIR/GVV: the new Belgian REIT status

The UK Retail Bond Market H Performance Update

GCC ediscovery survey How ready are you?

TAXATION OF PRIVATE LANDLORDS

BLACKSTONE ALTERNATIVE INVESTMENT FUNDS PLC. (the Company ) An umbrella fund with segregated liability between sub-funds, and its sub-fund

Sprott Global REIT & Property Equity Fund

SEC WHISTLEBLOWER RULES UNDER DODD- FRANK. Presented by: Michael A. Saslaw September 12, 2013 Matthew J. Jacobs David R. Woodcock Barefoot Bankhead

PRIVATE WEALTH MANAGEMENT COMPANIES

Considerations for a Global Approach to Property Investing

Property authorised investment funds (PAIFs) where are we going?

INDEX METHODOLOGY MSCI REIT PREFERRED. Index Construction and Maintenance Methodology for the MSCI REIT Preferred Index.

M&G HIGH INCOME INVESTMENT TRUST P.L.C

A GUIDE TO RETIREMENT ANNUITY TRUST SCHEMES ( RATS ) IN GUERNSEY

Understanding Irish Real Estate Investment Trusts. For Financial Advisor Use Only

RESIDENTIAL LANDLORDS TAX INFORMATION

SPDR S&P 500 Low Volatility UCITS ETF

S&P DOW JONES INDICES AND MSCI ANNOUNCE REVISIONS TO THE GLOBAL INDUSTRY CLASSIFICATION STANDARD (GICS ) STRUCTURE IN 2016

Caisse centrale Desjardins Legislative Covered Bond Programme Monthly Investor Report

November Alternative Investment Fund Managers Directive (AIFMD) Frequently Asked Questions (FAQs)

db x-trackers S&P 500 UCITS ETF (DR) Supplement to the Prospectus

Schedule of Allowable Investments

Life Settlements: Using Irish Investment Vehicles to avoid US Taxes on Life Settlement Payments

AIFMD investor information document Temple Bar Investment Trust PLC

Investment Bond. Funds key features. This is an important document. Please keep it safe for future reference.

AFIC S RESPONSE TO THE REPORT OF THE ALTERNATIVE INVESTMENT EXPERT GROUP RELATING TO EUROPEAN PRIVATE EQUITY

Tax Impacts to Structure Investments in Brazil Debt or Equity. Andrea Bazzo Lauletta November 2012

GLOBAL GUIDE TO M&A TAX

Deutsche Wohnen AG.» Investor Presentation. September 2010

CORPORATE MEMBERS OF LIMITED LIABILITY PARTNERSHIPS

Investment Trust ISA and Savings Scheme Key features

Comparison table of Luxembourg investment vehicles. Chevalier & Sciales

How Canada Taxes Foreign Income

2013 Distribution Summary Investor, Premium & e -Series Breakdown of Cumulative Distributions for the Period January 1, 2013 to December 31, 2013

Hong Kong Taxation FUNDS AND FUND MANAGEMENT Taxation of funds. Exemption for authorized or regulated funds. The first exemption applies to:

BUSINESS INVESTMENT RELIEF. Private company investing for non-domiciled ordinary UK residents

INFORMATION ABOUT THE TURBOTAX PROGRAM AND INTUIT

How to start a Hedge Fund

Life Settlements: Using Irish Vehicles to minimise US Taxes on Life Settlement Payments

Section N: Cambridge University Endowment Fund: Reports and financial statements to 30 June Cambridge University Endowment Fund

Dogus Holding 'BB/B' Ratings Affirmed On Sustained Investments And Expected Completion Of Garanti Sale; Outlook Negative

Nollaig Greene, Elaine Keane, Darragh Noone & Peter Maher A&L Goodbody Solicitors

db x-trackers MSCI World Telecom Services Index UCITS ETF (Prospective DR) 1 Supplement to the Prospectus

EDISTON PROPERTY INVESTMENT COMPANY PLC

UNITED KINGDOM LIMITED LIABILITY PARTNERSHIPS

BROCADE COMMUNICATIONS SYSTEMS, INC. END USER SOFTWARE LICENSE AGREEMENT FOR BROCADE IP ANALYTICS PACK FOR VMWARE VREALIZE OPERATIONS

Investment Structures for Real Estate Investment Funds. kpmg.com

5 Year UK Growth Certificate

CANADIAN CORPORATE TAXATION. A General Guide January 31, 2011 TABLE OF CONTENTS INCORPORATION OF A BUSINESS 1 POTENTIAL ADVANTAGES OF INCORPORATION 1

RIT Capital Partners plc Shareholder Disclosure Document January 2015

AIFM Directive. Briefing. The impact on non-eu fund managers of non-eu funds. Introduction. Overview of the AIFMD

TAX CARD 2015 GREECE. Table of Contents

db x-trackers FTSE 100 Equal Weight UCITS ETF (DR) Supplement to the Prospectus

The Alternative Investment Fund Managers Directive ( AIFMD )

MSCI Dividend Masters Indexes Methodology

HOW TO SET UP A GIBRALTAR EXPERIENCED INVESTOR FUND

Research Update: Banco Monex S.A. Rated Global Scale 'BB+/B', National Scale 'mxa+/mxa-1' Rating Affirmed. Table Of Contents

Residential Real Estate Company Deutsche Wohnen 'BBB+' Ratings Placed On CreditWatch Negative On Conwert Takeover Offer

Life Assurance Policies

Product Key Facts. PineBridge Global Funds PineBridge Global Emerging Markets Bond Fund. 22 December 2014

Holding companies in Ireland

QUICK GUIDE TO ISAs 2014/2015

Merrion Investment Trust (the Trust ) Merrion Technology Fund Series II SUPPLEMENT TO PROSPECTUS

MALTA: A JURISDICTION OF CHOICE

Buy-to-let guide about tax

CONTENTS. Page. Important Information 3. Introduction to Alliance Trust PLC 5. Investment Policy & Strategy 7. Risk Management 11

IRELAND EMPLOYEE BENEFITS SHARE INCENTIVE SCHEMES MAY 2013

Accommodation Bond Loans

Hong Kong is increasingly seen as a necessary operations

Asset Liability Management and Investment Seminar May Session1: Asset Allocation for Insurance Company Liability Driven Investment.

Income in the Netherlands is categorised into boxes. The above table relates to Box 1 income.

The Merchant Securities FTSE 100. Hindsight II Note PRIVATE CLIENT ADVISORY

The Bermuda Stock Exchange

Transcription:

Real Estate Investment Trusts The Beginning! 19 March 2013 2011 Deloitte & Touche

Introduction Pádraic Whelan Opening address Phil Nicklin Where and Why? Pádraic Whelan Key Irish REIT features Deirdre Power Gross Roll up funds V REIT Michael Flynn An Irish financing perspective 2011 Deloitte & Touche

REITs: Where and Why? Phil Nicklin 3 2013 Deloitte LLP. Private and confidential

REITs: Where? 34 regimes around the world REITs are recognised as an effective structure to finance and manage listed real estate and are a key feature of the majority of the world's developed investment jurisdictions... EPRA's view is that there are 34 countries worldwide that have REIT or 'REITlike' legislation in place. 4 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

REITs: Why? UK Government s perspective Policy objectives include: Attracting capital into the UK built environment, especially the private rented sector Alongside wider reforms to the planning system, providing a route into which newly developed rented accommodation can be sold, thereby increasing the willingness of house builders to increase supply Allowing smaller scale investors the opportunity to access commercial property returns Improving stability in the property investment market by rebalancing some debt with equity among property companies 5 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

REITs: Why? Investor perspective Access to the global REIT brand and international capital Liquid and publicly available source of property investment Improved after-tax returns for shareholders: Removal of traditional double-layer of taxation Effective elimination of capital gains Add value by eliminating existing latent gains Competitive advantage on corporate acquisitions Commercial decisions in a tax exempt environment 6 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

The UK story so far 7 2013 Deloitte LLP. Private and confidential

The UK story so far Existing REIT population 25 REITs c 50 billion of property With the exception of the majors, REITs tend to specialise Diversified Industrial London Alternatives British Land Land Securities SEGRO Hansteen Mucklow (A&J) Group Derwent Great Portland Estates Big Yellow Primary Health Workspace Target Shopping centre Retail Alpha Micro-cap Hammerson Intu Properties Source: Deloitte research Shaftesbury Town Centre Securities Local Shopping REIT New River REIT London Metric Glenstone Pineapple Highcroft Investments Warner Estates McKay Securities ApexHi Ground Rent Income Fund By market capitalisation - source: FT 15/03/2013 Diversified Majors Specialised Micro-cap 8 2013 Deloitte LLP. Private and confidential

The UK story so far Capital raising Provides access to overseas capital Key overseas investors REIT investors 1 AMP Redding APG Blackrock Cohen & Steers Colonial First State GIC ING Clarion Morgan Stanley Norges Bank Ontario Teachers Pension Fund Third Avenue Non-UK: 60% Non UK 75% UK: 40% UK 25% Source: Bloomberg 14/03/2013 1 Notes: 1 Volume based upon the top 20 shareholders of the top 10 UK listed REITs by market capitalisation per Bloomberg 14/032013 9 2013 Deloitte LLP. Private and confidential

Key Irish REIT features and conditions Pádraic Whelan 10 2013 Deloitte LLP. Private and confidential

Irish REITs Acquisition followed by development. Hold for 3 years to avoid 25% CT - 75% of income / assets are rental assets - At least 3 properties no one > 40% of M.V. of all - At least 1.25 times interest. Cover otherwise excess taxable. - Debt of REIT cannot exceed 50% of M.V. of assets of the REIT - 3 years from conversion to list and be non close - 3 years to have right mix of properties Rent profits and capital gains tax free Companies converting - CGT event Dividends to shareholders with excessive rights > 10% will result in REIT having taxable income Cease to rent an asset CGT event. Residual business asset moved over CGT event 20% DWT on property income dividend Distribute 85% of rent or C.T. at 25% on the GAP 11 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Irish REIT the building blocks Foreign property possible but tax leakage Irish incorporated and resident Listing on main market of a recognised stock exchange (EU) Widely held Group structure 100% SPV s 2% stamp on real estate 1% duty on share transfers 12 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

REITS : Tax treatment of property investment income Investment via REIT Irish resident Investors Marginal tax rate on income Credit for 20% DWT Corporates CT @25% CGT @33% on disposal of REIT shares REIT Tax payable by investors Foreign Investors Tax treaty benefits Disposal of REIT shares does not attract Irish CGT Profits flow through to be taxed annually on investor only 13 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Potential future enhancements 14 2013 Deloitte LLP. Private and confidential

Potential future enhancements General Improvements to legislation? ( loan to Value / Entry Charge ) Mortgage REITs Private, unlisted REITs?? Residential Housing REITs 15 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Gross roll up funds - How do they measure up to the REIT? Deirdre Power March, 2013 Leading business advisors 2013 Deloitte & Touche

QIF v. REIT Structure comparison QIF Form Company, Unit Trust, ILP Regulated Yes (24 hr approval possible) Company REIT No (but listed/possible AIFMD?) Shareholder requirements Min. initial subscription of 100k Professional investor PPIU rules Investments No restrictions Risk spreading principle for corporate structure Widely held Not close company Penalty tax charge re shareholders owning > 10% 75% of income must be property rental Min. 3 properties MV of any asset < 40% of total MV Leverage No restrictions Penalty charge if 1.25:1 property financing ratio breached 17 Gross roll up funds how do they measure up to the REIT? 2013 Deloitte & Touche

QIF v. REIT Tax comparison QIF * REIT Income and gains No tax at fund level Property rental income/ gains exempt 25% tax on gains from property developed in 3 year period 25% tax on Residual business Distributions No WHT DWT @ 20% - must pay out 85% of property rental income Treaty access Treaty by treaty analysis Yes Conversion to REIT No new set up needed Yes: -2% commercial stamp duty -CGT on transfers *ILP s are treated differently for tax purposes tax transparent 18 Gross roll up funds how do they measure up to the REIT? 2013 Deloitte & Touche

QIF v. REIT Investor Tax comparison Irish resident income Individual PPIU Corporate Pension funds 8 year rule for Irish residents Irish resident gains: Individual PPIU Corporate Pension funds 8 year rule for Irish residents QIF* 33% 53% 25% (12.5% if trading) Nil Yes 36% 56% 25% (12.5% if trading) Nil Yes REIT Marginal rate/usc/prsi N/A 25% Nil No 33% N/A 33% Nil No 19 *ILP s are treated differently for tax purposes tax transparent 2013 Deloitte & Touche

QIF v. REIT Investor Tax comparison QIF* REIT Non-residents Income Gains Nil Nil 20% DWT subject to treaty access Nil *ILP s are treated differently for tax purposes tax transparent 20 Gross roll up funds how do they measure up to the REIT? 2013 Deloitte & Touche

AIFMD Qualifying Investor Fund (QIF) regime The existing QIF regime already has many of AIFMD s attributes Independent depositary Valuations guidelines Authorisation & supervision Investor disclosure Corporate governance 21 Gross roll up funds how do they measure up to the REIT? 2013 Deloitte & Touche

QIF to QIAIF What s changing? Promoter regime Appoint AIFM Investment flexibility Borrowing/leverage permitted Speed to market Independent depositary Capital requirements Delegation framework Detailed risk management rules Detailed regulatory report Investor disclosures Conduct of business EU Passport 22 Gross roll up funds how do they measure up to the REIT? QIF QIAIF (+) (+) (+) (+) (+) 2013 Deloitte & Touche

REITs An Irish Financing Perspective Michael Flynn 23

Agenda What investors want and don t want Irish context Issues to be solved for REITs to succeed Can it work in Ireland 24 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

What are REIT investors typically seeking? Some of the key requirements for a REIT seeking capital 1. Specialism Geography, sector, income type 2. Low LTV Average across the majors is only 43%* 3. Strong dividend yield REITs are primarily seen as an income investment with capital upside 4. Scale Where seeking to attract capital, a market capitalisation around 150m is typically sought for liquidity 5. Free float Where seeking to attract capital this needs to be sufficient to provide secondary trading liquidity 6. An asset pool Blind vehicles are difficult to raise (unless rock-star management) 7. Management track record and alignment 1 *Source: Jeffries 19/09/2011 Preferably made money for listed investors before Typically these are requirements when raising significant capital as a REIT 25 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

What investors do not want!! Investors will typically not provide capital to... 1. Deleverage Do not want to pay for the de-leveraging of an over-geared company 2. External management Strong preference for internal management external is difficult but not impossible 3. Opaque vehicles Premium valuations for transparency and disclosure 4. Diversification A diversified portfolio with no clear story will be unattractive 26 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Irish Context Significant levels of Real Estate investment in past Most real estate highly leveraged Significant value impairment in recent years Economic owner in many cases is bank(s) Strong desire of international capital to acquire assets Agreeing valuation remains stumbling block 27 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Issues to be solved in Ireland Why would company put assets into REIT? particularly if LTV underwater Need to solve what happens residual debt Is there enough appropriate assets to put in REIT Could banks use REIT as potential deleveraging structure rather than portfolio sales Need to attract capital What will Irish REIT provide versus International REITs What assets will attract greatest interest Will other Irish opportunities distract from REITs 28 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Can Ireland Deliver? Some of the key requirements for a REIT seeking capital 1. Specialism Yes 2. Low LTV Will require funder agreement 3. Strong dividend yield Potential selected assets 4. Scale Yes 5. Free float Yes 6. An asset pool Should be possible 7. Management track record and alignment Potential Yes potential for small number of large scale ( 500m) REITs 29 Real Estate Investment Trusts The Beginning! 2013 Deloitte & Touche

Contact details 30 2013 Deloitte LLP. Private and confidential

Contact details Phil Nicklin, Partner Tel: +44 20 7007 2984 Email: pnicklin@deloitte.co.uk Padraic Whelan, Partner Tel: +353 1 417 2848 Email: pwhelan@deloitte.ie Deirdre Power, Partner Tel: +353 1 417 2448 Email: dpower@deloitte.ie Michael Flynn, Partner Tel: +353 1 417 2515 Email: micflynn@deloitte.ie 31 2013 Deloitte & Touche

Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited, a private company limited by guarantee, and its network of member firms, each of which is a legally separate and independent entity. Please see www.deloitte.com/ie/about for a detailed description of the legal structure of Deloitte Touche Tohmatsu Limited and its member firms. These materials and the information contained herein are provided by Deloitte & Touche and are intended to provide general information on a particular subject or subjects and are not an exhaustive treatment of such subject(s). Accordingly, the information in these materials is not intended to constitute accounting, tax, legal, investment, consulting or other professional advice or services. The information is not intended to be relied upon as the sole basis for any decision which may affect you or your business. Before making any decision or taking any action that might affect your personal finances or business, you should consult a qualified professional adviser. These materials and the information contained therein are provided as is, and Deloitte & Touche makes no express or implied representations or warranties regarding these materials or the information contained therein. Without limiting the foregoing, Deloitte & Touche does not warrant that the materials or information contained therein will be error-free or will meet any particular criteria of performance or quality. Deloitte & Touche expressly disclaims all implied warranties, including, without limitation, warranties of merchantability, title, fitness for a particular purpose, non-infringement, compatibility, security and accuracy. Your use of these materials and information contained therein is at your own risk, and you assume full responsibility and risk of loss resulting from the use thereof. Deloitte & Touche will not be liable for any special, indirect, incidental, consequential or punitive damages or any other damages whatsoever, whether in an action of contract, statute, tort (including, without limitation, negligence) or otherwise, relating to the use of these materials or the information contained therein. If any of the foregoing is not fully enforceable for any reason, the remainder shall nonetheless continue to apply. 2013 Deloitte & Touche. All rights reserved 2013 Deloitte & Touche