Canada's Treaty Shopping Proposals - Impact on Inbound Investment

Similar documents
Treatment of Hybrid Entities. 5th Taxation of Inbound Investment Course September 19 & 20, 2011 Kathleen S.M. Hanly and Kevin H.

I. CANADIAN INBOUND INVESTMENTS - GENERAL CONSIDERATIONS

TREATY ENTITLEMENT OF NON-CIV FUNDS

Chapter 3. The Concept of Beneficial Ownership under Canadian Tax Treaties

Tax Issues for Investors and Immigrants from Asia

Preventing the Granting of Treaty Benefits in

BEPS ACTION 6: PREVENT TREATY ABUSE

FOLLOW UP WORK ON BEPS ACTION 6: PREVENTING TREATY ABUSE

Debt Restructuring. 17th Taxation of Corporate Reorganization Conference January 22, 23 & 24, 2013 Kathleen S.M. Hanly and Kevin H.

CLARIFICATION OF THE MEANING OF BENEFICIAL OWNER IN THE OECD MODEL TAX CONVENTION

Revised discussion draft on Action 6 (Preventing Treaty Abuse)

International Taxation

Taxation of Non-resident Investors in Canadian Investment Funds

CANADA U.S. TREATY COULD

Article 1. Paragraph 3 of Article IV Dual resident companies

Tax Governance and BEPS - The Impact of OECD and EU Action on BEPS on Business. Prof. Dr. Ana Paula Dourado University of Lisbon

COMMENTARIES ON THE ARTICLES OF THE MODEL TAX CONVENTION

Tax Court Lowers Canco s AR Factoring Transfer Price

Canada Releases Revised Back-to-Back Loan Rules

Explanatory Statement

Investment into Canada

Fifth Protocol to the Canada-U.S. Income Tax Treaty Reflections

CONTINUING ISSUES FOR U.S. LLCS INVESTING INTO CANADA

2010 TAX LAW FOR LAWYERS

September 11, Re: Comments on Draft Provisions for the U.S. Model Income Tax Treaty

Comparing REITs. kpmg.ca

How Canada Taxes Foreign Income

TAX LAW / INVESTMENT FUNDS BULLETIN CANADA EXTENDS SOURCE TAXATION FOR INVESTMENT FUNDS

The authors wish to acknowledge the contributions of Jared Mackey of Bennett Jones LLP in the preparation of this paper.

How To Treat A Permanent Establishment In A Bicomint

EXPLANATION OF PROPOSED PROTOCOL TO THE INCOME TAX TREATY BETWEEN THE UNITED STATES AND MEXICO COMMITTEE ON FOREIGN RELATIONS UNITED STATES SENATE

Structuring Entry into the Canadian Market: A Corporate Tax Primer

THE GRANTING OF TREATY BENEFITS WITH RESPECT TO THE INCOME OF COLLECTIVE INVESTMENT VEHICLES

CANADA/U.S. TAX PRE-IMMIGRATION PLANNING

Tax Controversy and Dispute Resolution Alert

Introduction. Article 1

Executive Summaries. OECD/G20 Base Erosion and Profit Shifting Project Final Reports

Principles of International and Comparative Taxation

TURKEY CORPORATE TAX (KURUMLAR VERGISI) The basic rate of corporation tax for resident and non-resident companies in Turkey is 20%.

Leveraged Life Insurance Personal Ownership

ULC Problems and Solutions. Miller Thomson Seminar: Tax Update October 22, 2009

CANADA INTERPRETS ANTI-HYBRID RULES IN TREATY WITH THE U.S.

TAXATION OF INTEREST, DIVIDENDS AND CAPITAL GAINS IN CYPRUS

Tax Reform in Brazil and the U.S.

The Foreign Affiliate System. Robert Raizenne June 3, 2010

As U.S. treaty policy evolves, the Treasury is

450 Lexington Ave 1350 I Street, NW Suite 3320 Suite 1100 New York, NY Washington, DC 20005

23 May Subject: BEPS Action 6 (Tax Treaty Abuse) and CIVs / REITs. Dear Mr. Saint-Amans, Mrs De Ruiter and Mr Sasseville,

SUMMARY: This document contains final regulations relating to qualified

2015 Federal Budget Highlights

2010 REPORT ON THE ATTRIBUTION OF PROFITS TO PERMANENT ESTABLISHMENTS

Tax considerations for Pharmaceutical & Life Sciences Industry 27 November November 2013

How To Understand The Tax Laws In Ireland

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

EXPLANATORY NOTES TO REVISED PROPOSED AMENDMENTS CONCERNING MORTGAGE INVESTMENT CORPORATIONS AND INVESTMENT CORPORATIONS

BEPS ACTION 14: MAKE DISPUTE RESOLUTION MECHANISMS MORE EFFECTIVE

A Study of Article XXIX A of the Canada-US Tax Treaty: The Limitation-on-Benefits Article

Monaco Corporate Taxation

September 14, Dear Mr. Stack:

Profits from Trading in and Developing UK Land

Related party transactions Section 34D has been enacted recently in the SITA to legislatively endorse the arm slength

Non-Resident Investment in Canadian Real Estate. Jack Bernstein and Barbara Worndl

Summary of important tax law changes in Germany during the last months

DEPARTMENT OF THE TREASURY TECHNICAL EXPLANATION OF THE PROTOCOL BETWEEN THE UNITED STATES OF AMERICA AND

Implementing a Diverted Profits Tax

Tax Update - Employees vs. Independent Contractors and Cross-Border Employment Issues

Scheduled for Markup by the SENATE COMMITTEE ON FINANCE on February 11, Prepared by the Staff of the JOINT COMMITTEE ON TAXATION

Slovenia. Chapter. Avbreht, Zajc & Partners Ltd. 1 General: Treaties. 2 Transaction Taxes. Ursula Smuk

Fall Tax Update. By: Ian Crosbie, Elie Roth, Raj Juneja, Nathan Boidman, Brian Bloom, Michael Kandev and Christopher Anderson

US Inbound Newsalert A Washington National Tax Services (WNTS) Publication

Recent Changes and Trends in Legislation Related to Equity Income Sourcing

Cross Border Tax Issues

management fee documentation

Tax Update A report on cross-border developments in Canadian tax law / September 2011

U.S. TAX ISSUES FOR CANADIANS

Tax Implications for US Citizens/Residents Moving to & Living in Canada

Hong Kong Expands Existing Offshore Funds Tax Exemption to Benefit Private Equity Funds

Annual International Bar Association Conference Tokyo, Japan. Recent Developments in International Taxation. Portugal. Guilherme Figueiredo

Shareholder Dividend Reinvestment and Stock Purchase Plan

The Use of Trusts in a Tax and Estate Planning Context

Provinces and territories also impose income taxes on individuals in addition to federal taxes

TAX CONSIDERATIONS IN REAL ESTATE TRANSACTIONS. Investment by Foreign Persons in U.S. Real Estate

15 Double Taxation Relief

Taxation of Cross-Border Mergers and Acquisitions

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

SYLLABUS BASICS OF INTERNATIONAL TAXATION. ! States levy taxes by virtue of their sovereignty

Employee Life and Health Trust Explanatory Notes

BENEFITS & COMPENSATION INTERNATIONAL TOTAL REMUNERATION AND PENSION INVESTMENT

EXPLANATION OF PROPOSED INCOME TAX TREATY BETWEEN THE UNITED STATES AND HUNGARY

The 2014 OECD International Tax Conference: OECD-U.S. Business Dialogue on International Tax Washington, DC June 2-3, 2014

Related parties debt remission

USA Taxation. 3.1 Taxation of funds. Taxation of regulated investment companies: income tax

Asset finance and leasing

CYPRUS TAX CONSIDERATIONS

New Canadian Tax Legislation. Hywel Jones Britannia Consulting Group

Cambodia Tax Profile. kpmg.com.kh

Subcommittee on Base Erosion and Profit Shifting Issues for Developing Countries

Luxembourg..Tax Regime. for Intellectual Property Income

Corporate Taxation & Structuring in Canada and Canadian Scientific Research & Experimental Development Program Overview (SR&ED)

Dividend Reinvestment Plan and Stock Dividend Program Frequently Asked Questions

Transcription:

Elizabeth Johnson, Wilson & Partners LLP, Toronto Jodi Kelleher, KPMG LLP, Vancouver Stephanie Smith Department of Finance Timothy Wach, Gowlings LLP, Toronto Canada's Treaty Shopping Proposals - Impact on Inbound Investment Vancouver 2014 Refresher on OECD/G20Time Line > OECD/G20 Base Erosion and Profit Shifting Project identified treaty abuse as a priority item first BEPS Report Feb. 2013 > March 2014 Public Discussion Draft on BEPS Action 6: Preventing the Granting of Treaty Benefits in Inappropriate Circumstances hearings held April 2014 > September 16, 2014 Release of Action 6: 2014 Deliverable with somewhat revised proposal and expanded Commentary > November 21, 2014 Further Discussion Draft. Comment period ends January 9, 2015. Public consultation January 22, 2015 > Final recommendations expected no earlier than September 2015 2

Background to Canadian initiatives > Finance not satisfied with state of the case law > Canadian case law in which treaty shopping challenged through assertion that beneficial ownership test not satisfied - > Velcro > Prévost Car > GAAR-based challenges > MIL Investments; Garron Trust; Antle 3 Refresher on Canadian initiatives > Budget March 2013 Finance announces it is considering an anti-treaty shopping rule > August 2013 - Consultation paper released seeking input on domestic vs. treaty based approach > Submissions recommended: > Wait further work by OECD > Treaty based approach over domestic law approach > Reconsider GAAR > February 2014 Federal Budget proposed domestic anti-treaty shopping rule > Further consultation period requesting examples of when the rule would apply or not > But indicated not open to adopting a fundamentally different approach > Some expected rule would be in second Budget implementation bill (fall 2014) > August 29, 2014 Finance announced it would await further work by the OECD/G20 4

Basic Tenets of Canadian Approach > Main purpose test: no treaty benefit if one of the main purposes of transaction was to obtain the benefit > Conduit rule: presumption that main purpose is to obtain the benefit, if relevant income primarily used to pay, distribute or otherwise transfer an amount directly or indirectly at anytime to an entity that would not have been entitled to the treaty benefit > Safe harbour rules: (subject to conduit presumption) presumption that main purpose is not to obtain the benefit, if one or more of the following applies: > Active business test satisfied > Not controlled by entity not entitled to equivalent benefit > Publicly-traded > Relieving provision: benefits to be provided to the extent reasonable, having regard to all the circumstances 5 Key Aspects of OECD/G20 Approach > 3 pronged approach for countries to counter treaty shopping arrangements: > Title and preamble to tax treaties should include clear statement that intention of contracting states is to eliminate double taxation without creating opportunities for non-taxation or reduced taxation through tax evasion or avoidance, including through treaty shopping arrangements > U.S. Style LOB (including possibility of competent authority relief) > One of the principal purposes test or PPT (change from one of the main purposes test in March 2014 discussion draft) 6

Options to Meet Minimum Standards > Combined approach LOB plus PPT > PPT only > LOB plus rules to address conduit arrangements, which may be a limited PPT in a treaty or domestic specific and/or general anti-avoidance rules 7 Derivative benefits > Optional derivative benefits rule - 2 pronged: > 95% ownership (votes and value) directly or indirectly owned by 7 or fewer persons that are equivalent beneficiaries (with any intermediate owner itself being an equivalent beneficiary) > Base erosion test less than 50% of gross income paid or accrued in respect of tax deductible expenses incurred directly or indirectly to persons who are not equivalent beneficiaries (exception for arm s length payments in the ordinary course of business for services or tangible property) > Equivalent beneficiary is a new concept very narrowly worded, may make rule have limited application 8

Other added anti-avoidance measures > Anti-dividend transfer measure Amendment to Article 10 (Dividends) to grant the 5% rate only if the share ownership test is met on a continuous basis for 365 days prior to payment of the dividend > Capital gains article presumably to counter stuffing transactions- proposes amendment to allow source state to tax gain on shares or comparable interest (eg. interest in partnership or trust) where value of the interest is more than 50% derived from source state immovable property at any time within the 365 day period prior to the date of the disposition 9 Comparison of General Treaty Shopping Rules Canada s Existing GAAR OECD Current Treaty Shopping Commentary (para. 9.5 in Article 1) OECD Proposed Treaty Shopping Rule Canada Proposed Treaty Shopping Rule tax benefit treaty benefit treaty benefit treaty benefit To negate avoidance transaction, onus on taxpayer to show primary bona fide purpose other than to obtain tax benefit must be misuse or abuse of relevant treaty provisions 10 one of the main purposes test must be contrary to object and purpose of relevant treaty provisions one of the principal purposes test unless it is established that treaty benefit accords with object and purpose of relevant treaty provisions one of the main purposes test (determined using rebuttable presumptions of conduit and safeharbour) unless it is reasonable in circumstances to provide treaty benefit

OECD Multi-lateral Instrument > Action 15 of OECD Action Plan > Instrument to implement a number of OECD recommendations that are bilateral in nature > Including treaty shopping > Effect of simultaneous renegotiation of several bilateral treaties > Significant impact quickly > Does this resolve Canada s concerns regarding an immediate solution? > Assumes the relevant treaty partner signs on to multi-lateral instrument 11 Collective Investment Vehicles - CIVs > Placeholder for possibility of special treatment for CIVs - to be further studied > Each country could have the flexibility to decide what constitutes the type of CIV that should be accorded treaty benefits and on what basis > Possible options would be to provide benefits on a full look-through basis or on a threshold percentage ownership by treaty residents basis > Canada has acknowledged the challenges of CIVs and CIV-like funds and the need to address them 12

Budget Example 2 Payment of Dividends Aco (State A) Cco (State C). Lower dividend withholding tax rate under treaty with State B Bco (State B) Canco Dividend income received is distributed by Bco to Aco and Cco immediately 13 Example Investment Holdco Individual resident in treaty country X Holdco formed and resident in country X dividends Canco 14

Budget Example 4 CIV Bona Fide Investments Non-Resident Investors Dividends subject to reduced withholding tax rate B-trust (State B) Canadian Canadian Investments Investments Canadian Investments 15 JCT submission example bad intermediary USCo CaymanCo IreCo Canco 16

Capital Gains Resource Properties NR Investor > Paragraph 4 of Article 13 of Luxembourg Treaty > "immovable property" does not include property in which the business of the company was carried on Luxembourg > Similar wording in many modern treaties > Interpretation confirmed by CRA views Canco > Canada ceding its right to tax gains from resource properties (and other real property) Resource Property > Finance confirmed no longer including in treaties 17