Art Estate Planning: advantages and barriers



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Art Estate Planning: advantages and barriers Mr Alessandro Umberto Belluzzo Belluzzo & Partners LLP Managing Partner London, 26 November 2014

Individuals - UK Residence vs UK Domicile UK Residence UK Domicile From 6 April 2013 a Statutory Residence Test (SRT) applies to determine an individual s residence status for UK tax purposes: Domicile of origin - country that your father considered to be his real or permanent home at the date of your birth a) Automatic residence/overseas test b) Sufficient ties test Domicile of choice country where the individual settle permanently changing his previous country of domicile Deemed domicile individual resident in UK for 17 out of 20 fiscal years. Applicable only for inheritance tax purposes 2

Individuals Trading Vs Investment Trading (art dealer) Income Tax (20%-40%-45%) If non-uk resident If UK resident a) if UK Domiciled - UK Income Tax on worldwide income UK Income Tax only on UK sales b) if Non-UK Domiciled (remittance basis) UK Income Tax on sale UK assets, but UK Income Tax on non- UK sales only if proceeds remitted to UK 3

Individuals Trading Vs Investment Investment (individual collector) Capital Gain Tax (18%-28%) with an annual exempt amount for the year 2014-15 of GBP 11,000 (not applicable for UK resident not domiciled opting for the remittance basis) If non-uk resident If UK resident a) if UK Domiciled - UK CGT on worldwide income No UK CGT on UK sales b) if Non-UK Domiciled (remittance basis) UK CGT on sale UK assets, but UK CGT on non-uk sales only if proceeds remitted to the UK. 4

Individuals - Capital Gain Tax Artworks sale for consideration < 6,000 = No UK CGT CGT also levied if transferred as gift or consideration less than market value Possible reliefs: Disposals made in satisfaction of inheritance tax liabilities (exempted from CGT) Donation to recognized charities or specific national institutions (e.g. National Gallery ) N.B. Outright gifts to other individuals during their lifetime are not subject to UK IHT (Potentially exempt transfer), if the donor survives the gift by seven years 5

Individuals - Remittance In addition to the UK taxation in case of remittance of foreign income and gains, an artwork bought abroad using foreign income or gains and brought to UK is considered as remittance and subject to UK tax There are exemptions if the artwork is brought into the UK for: 1 2 3 Less than 9 months (e.g. display in art galleries) Repair or restoration Public display in approved public locations (e.g. museums) No taxes are due on artworks acquired before March 2008 with untaxed foreign income. 6

Individuals Inheritance Tax UK Inheritance Tax (IHT) 40% of the estate value (nil-rate band 325,000) Exemptions: Gifts between spouses and civil partners Gifts to UK-registered charities UK domiciled: Non-UK domiciled: IHT levied on worldwide assets IHT levied only on UK assets Residence is not relevant to IHT = a non-uk resident, not domiciled might be subject to UK IHT on his artworks kept in UK. N.B. Non-UK domiciled, resident in UK for long time (17 years) can be considered deemed domiciled for IHT purposes. 7

Individuals Inheritance Tax 1 Acceptance in Lieu: enables taxpayers to transfer at full market value important artworks into public ownership in order to pay any due IHT. The artworks are then made available to public museums Tax incentives with reference to donation of cultural properties to UK public institutions ) 2 Cultural Gifts Scheme: in return for donations of important artworks to public institutions, the taxpayer receives a tax return 3 A donation of 10% estate to charity might reduce the overall IHT rate to 36% 8

Individuals Inheritance Tax IHT planning for individuals holding artworks depends on the domicile of the individual. Life insurance (written in trust) Possible options to mitigate the IHT impact: Borrowing against the artworks (reducing the tax base) Holding assets through a non-uk corporate vehicle Holding assets through a non-uk trust A combination of the above 9

Corporation Tax UK resident companies Non- UK resident companies Corporation Tax (CT): 20% (Profits up to 300,000) 21% (Profits above 300,000) Both income and gains are subject to CT. - If trading artworks (not investing) in UK, having a UK presence (permanent establishment) = UK CT - If investing in UK artworks with no permanent establishment, UK proceeds from sale not subject to UK CT 10

VAT Sale of artworks is subject to VAT in UK at 20% rate. Art dealers can apply for the margin scheme taxing the difference between what they paid for an artwork and what they sold it for, rather than the full selling price. Margin scheme invoice requirements are different from the general VAT invoice (e.g. VAT is not shown on the buyer s invoice..) Reduced VAT rate of 5% is due on import of artwork into the UK from a non- EU country (imports from EU are exempted from VAT). Some exemptions: Importing under Temporary Admission (artworks intended to be reexported shortly) Importing for an exhibition in a museum Importing for a charity Importing inherited artworks 11

Trust Whatever happens to the settlor, the collection Continuity will be managed by the trustees according to the terms of the trust Estate The trustees will manage the collection in the interest of beneficiaries even in case of death of planning Asset the settlor In some cases holding artworks in trust might provide protection against bankruptcy, divorce protection and creditors issues 12

Trust Settling artworks into trust is a lifetime gift subject to 20% UK IHT if: The settlor is UK domiciled The settlor is UK deemed domiciled The artworks are in UK A UK resident not domiciled who settle artworks situated outside UK into a foreign trust is not subject to 20% IHT. 13

Trust Trusts are subject to a special IHT regime: 6% IHT on ten-year anniversary of the trust and proportionate rate on capital distributions. The special IHT regime applies to the value of UK situated assets held by the trust. Anyway If an intermediary non-uk company is established between trust and artworks the UK situated assets are outside the scope of the special IHT regime. 14

Trust Some aspects should be carefully considered: 1 Establishment of a dry trust. The trust produces income or gains only on sale of the artworks 2 Specific consideration should be made in case the artworks remain at disposal of the settlor or beneficiaries (reservation of benefits). The enjoyment of the artwork might be a taxable benefit in kind 3 If correctly structured, the sale of artworks from a trust established by Non-UK domiciled should not generate any CGT until distribution to UK beneficiaries 15

Trust Se#lor - UK Res Non Dom Non- UK Trust Non- UK Company Consignment agreement LLP or LTD (UK) 16

Thank you

Stradone San Fermo, 14! 37121 Verona! T+39 045 8005353! F+39 045 8012788 studio@belluzzo.net Via Cordusio, 2 20123 Milano! T+39.02.365.696.57! F+39.02.365.698.29 studio@belluzzo.net! 38, Craven Street! WC2N 5NG London! T+44 20 70042660! F+44 20 70042661 london@belluzzo.net www.belluzzo.net Our Firm acts in Italy as Associazione Professionale tra Commercialisti e Avvocati and as an LLP in England. Further information, including Equity partners details, is available on the web site or at each office. Our Firm has correspondents in over 100 countries worldwide. We are founding member of RETIS Professionisti Italiani nel Mondo, a non profit consortium which links top Italian firms worldwide. 18