AVOIDING TAX AVOIDANCE. TWS Policy Paper



Similar documents
Non-dom dilemmas and how offshore bonds can help. For advisers only. Not for use with customers.

Value through Wealth Planning - Key trends in taxation of private investors. Prof. Pierre-Marie Glauser

Dividends The Company will not be required to withhold tax at source from dividend payments it makes.

Spanish Tax Facts. The Expatriate Financial Guide to Spain

NEWSLETTER KPMG LLC (Isle of Man) ISSUE 34 January 2014

Tax Guide for Individuals Moving to the UK

OECD BEPS Project - Impact on UK tax law. Munich, 21 April 2016

Alderney The most competitive tax environment for egambling Operators - Page 1 of 7

STATEMENT BY SENATOR CARL LEVIN (D-MICH) BEFORE PERMANENT SUBCOMMITTEE ON INVESTIGATIONS FAILURE TO IDENTIFY COMPANY OWNERS IMPEDES LAW ENFORCEMENT

Your guide to taxation in India

Jordans Trust Company Limited Experts in creating and managing UK and Offshore companies and trusts

GUIDE TO PUBLIC OFFERING OF COMPANIES IN GUERNSEY, ISLE OF MAN AND JERSEY

trust and corporate services in Gibraltar

Introduction. The Expatriate Financial Guide for UK Expatriates Working Overseas

Belgium in international tax planning

A Beginner s Guide to Trading Status. jelfsmallbusiness.co.uk

Authorised Investment Funds Interest distributions to trustees. About Authorised Investment Funds. When to fill in this form. Multiple unit holdings

German Tax Facts. The Expatriate Financial Guide to Germany

Sweden: trusts and foreign foundations in Swedish tax law

Discussion paper on criteria applied by EU Member States to establish lists of non-cooperative jurisdictions

Financial Planning for UK Expatriates Living in Australia

The European Union Savings Tax Directive. An historic guide

p r o v i d i n g c o n f i d e n c e t h r o u g h p e r f o r m a n c e

Canada-U.S. Estate Planning for the Cross-Border Executive

The positioning of Cyprus as a leading international business centre has been

International Bond Key features

Making the right pension transfer decision

The ConocoPhillips Share Incentive Plan EXPLANATORY BOOKLET

WEALTH MANAGEMENT SOLUTIONS

Meridian Trust - Corporate & Fiduciary Services

Comparison of Companies - Cayman Islands, British Virgin Islands and Jersey

JURISDICTIONS AND AGGRESSIVE TAX PLANNING AND A POSSIBLE STRATEGY AT EU LEVEL SEMINAR JULY

2013 Thinking Beyond Borders

Hong Kong (Brenda Chan, Nexia Charles Mar Fan & Co, brenda@charles-marfan.com) Reviewed January 2015

Going to Combat for Your International Client: Avoiding Landmines and Other Hot Topics in 2012/2013

ETUC resolution on tackling tax evasion, avoidance and tax havens

HELM TRUST COMPANY LIMITED COMPANY MANAGEMENT APPLICATION FORM

Inheritance tax Foreign aspects

Coming and going II: focus on going exit strategies for the private client. Is getting up and going a good solution?

Taxation of Investment Products

21 st CENTURY US ACCOUNTING Q&A TRUST

Expatriation A comparison of tax issues in the US & UK in an increasingly mobile world

Key Features of investing in an Old Mutual Wealth Collective. via an Old Mutual International - International Portfolio Bond

The Foreign Account Tax. Sharing Agreements (TISAs) to improve tax compliance. Questions and Answers

International Tax information for customers Client Guide

Key features of the HSBC InvestDirect Stocks and Shares ISA (Individual Savings Account)

Tax guide For individuals coming to the UK

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

G E N C S V A L T E R S L A W F I R M B A L T I C T A X C A R D

Thinking Beyond Borders

your uide to a Royal Skandia Excluded Property

The higher rate threshold will also increase with the basic rate limit set at 32,000 for 2016/17 and 32,400 for 2017/18.

CYPRUS TAX CONSIDERATIONS

UK Residential Property Ownership Update. Accounting & Tax. trusted to deliver...

UBS (Irl) Fund plc. Supplement dated 2 July 2015 to the Prospectus dated 27 April 2015

Cross-Border Investment Bonds

create and Preserve your offshore Wealth

I am pleased to welcome you to the latest edition of La Mondiale Europartner s Expat News.

What Are the Tax Reasons Favouring the United Kingdom as a Holding Company Location for International Groups?

Taxation of Pension Schemes

FNB INterNatIoNal trustees limited

tax and other important information for Malta

How do companies avoid tax?

H.R. XXX Small Business Tax Relief Act of 2010

HONG KONG Corporate information:

Capital gains tax for non-residents disposing of UK residential property: Final Rules

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

Summary of Data Protection Requirements When transferring Data Outside the UK End Users

TOTAL A PRO PR SER SER CES LTD Secure your future

International Portfolio Bond for Wrap Key Features

Changes coming to the U.K. online gaming market

The Austrian Swiss Tax Agreement

Life Assurance Policies

Residence status for a particular tax year (the year from 6 April to 5 April) is determined in accordance with a number of tests.

RETIREMENT ANNUITY TRUST SCHEMES (RATS)

Malta Companies in International Tax Structuring February 2015

PROBATE AND ESTATE ADMINISTRATION FOR NON-JERSEY DOMICILIARIES

United Kingdom Taxation

first direct shares Key Features Document Important information, please read carefully

BUYING A PROPERTY IN PORTUGAL

The eighth data protection principle and international data transfers

How Canada Taxes Foreign Income

UNITED KINGDOM LIMITED LIABILITY PARTNERSHIPS

The use of Cyprus structures in international tax planning

Transcription:

AVOIDING TAX AVOIDANCE TWS Policy Paper Tom Pocock December 2009

BACKGROUND: CURRENT INFORMATION ON TAX AVOIDANCE MEASURES Basic Numbers The estimated loss due to non-domiciling to the U.K. is around 4bn per annum including all forms of tax avoidance, this figure rises to as much as 18.4bn 1 About 8.2 trillion of private wealth currently sits in havens, undeclared by its owners in their country of residence. That represents 180bn in lost tax - more than double the world s global aid budget. Tax avoidance costs the UK treasury 25bn a year. 2 Richard Murphy of Tax Research UK identifies the 18 floor on VAT qualification under Low Value Consignment Relief as a significant drain on tax revenue, saying that The Treasury says this cost the UK at least 80 million a year. Stephen Timms MP (Financial Secretary, HM Treasury) informed the House of Commons on 27th January 2009 that this is the result of an EC directive, that, upon introduction in 1983, saw 18 equivalent to 22, then the threshold. This has now been reduced to 10. Tax Evasion For Beginners Non-dom status: Taxpayers are registered as being domiciled in another country. They are deemed to be domiciled in the state in which a person has, or intends to make, their permanent home. o The United Arab Emirates and British Virgin Islands offer zero tax on income and capital gains, and offer null corporation tax; other offshore centres with low level tax (including zero inheritance tax) include crown dependencies Jersey, Guernsey and the Isle of Man. Other well-known havens are Switzerland and Lichtenstein. 1 http://www.taxresearch.org.uk/blog/2009/03/02/tax-havens-cost-the-uk-at-least-4-billion-a-year-2/ 2 http://www.guardian.co.uk/commentisfree/2009/mar/08/comment-tax-avoidance?commentpage=1

o Citizenship of the place of domicile (these are subtly different) is often established, where no tax is levied for income or capital gains. This does not preclude citizenship of the United Kingdom. o An individual who has been non-dom for seven of the past ten years will thereafter pay a levy of 30k to maintain non-dom status (announced in 2008 Budget following Conservative Party s proposal to the tune of 25k). Transparency, following policy U-turns, ended up being unaffected. o When 17 of the past 20 years have been spent as a non-dom in the UK, HM Revenue & Customs will deem UK domicility thereafter. o Domiciling is not automatic, and should tax disputes be brought before a court, the accused would have to prove intended domicility with provable actions. Offshore trusts: In many low-tax locations, trust law is a highly developed area. Crown Dependencies Jersey, Guernsey and the Isle of Man are examples. Trusts separate the beneficiary from ownership by placing assets in the hands of trustees, who are charged with duty of care. They are often paid professionals. The pros and cons from the avoider s point of view are as follows: o Advantages: Gives the beneficiary of the trust complete freedom there is no compulsion to prove domicility, residency or citizenship. o Disadvantages: Often high-cost trustees will often consist of an accountancy or trust or law firm, and experienced financial experts. Set-up is often expensive, and dismantling a trust is often a lengthy and expensive process. It removes a significant amount of financial freedom from the beneficiary. Offshore companies: So-called shelf companies can be created to ring-fence assets, paying investment dividends and bank interest (when applicable!) into the company, so that the directors/shareholders (often the same people) only pay tax on the nominal fees

that they are required by law to be paid for their services crucially, not on the corporate profit. These are of use in low-tax jurisdictions. Limited companies can also be used as the general partner of a limited partnership to limit a partnership s liability. The Jersey authorities claim that Jersey has not traditionally allowed the setting up of Shelf companies 3 CURRENT MEASURES AND ATTEMPTED MEASURES AGAINST TAX AVOIDANCE EU Savings Tax Directive: UK dependencies signed up to this under pressure from the Treasury. It gives the choice between: 1. Information Exchange: Countries report interests and yields paid to the citizens of other Member States to those States' tax authorities, without anonymity. 2. Withholding Tax: The country of domicility taxes citizens of other Member States at a given rate (currently 20%), 25% of which will remain in the country of domicile, and the rest returned to the country of citizenship. Individual disclosure unnecessary. It should be noted that in 2011 this rate will rise to 35%, making nondom status virtually redundant within the EU, although it will have no effect on company or trust regulation, so the Crown Dependencies will be able to side-step this. Of course, it leaves the United Arab Emirates and other states outside the EU entirely unaffected. The seven-year rule: Outlined earlier. In the US: In February 2007, Senators Levin, Coleman and Obama brought the Stop Tax Havens Abuse Bill 2007-2008 before Congress to restrict the use of offshore tax havens and abusive tax shelters to inappropriately avoid Federal taxation. The bill ultimately failed, having called for high levels of transparency for all persons resident in the US. It was defeated due to fears that it might deter banks and investment houses from operating out of the US, in favour of other finance centres, such as the UK. 3 Provision of Reserved Companies, November 2005, Jersey Financial Services Commission

PROPOSALS Proposal 1: Cut the threshold on Low Value Consignment Relief from 18 when the pound has hit a forecast low. In the mean time, levy a tax by way of charge through Royal Mail, only if Royal Mail remains nationalised. o The long-run proposal would cease operations in the Channel Islands and ensure that purchases, where made, would contribute VAT to the Treasury. Sales may subside as a result, but employees reliant on this would not be UK based. Since the Treasury is losing out on this by such a margin, this is a necessary manoeuvre in the interests of the UK taxpayer. o Unfortunately, making this cut without risking contravening EC regulation is difficult. The pound has been falling in value against the Euro. o Cutting the threshold may also result in a significant rise in paperwork for declaration of VAT both in Jersey and the UK. This risk needs to be assessed. Proposal 2: Royal Mail should raise charges on all imported goods exempt from VAT under LVCR, by a percentage on the value of the item, to bring it into line with competitive UK prices. Proposal 3: The Government should investigate possible legal proceedings against offshore companies under the EU law on LVCR stipulating that exemptions on importation can be granted only on condition that they are not liable to affect the conditions of competition on the home market 4 this currently appears to be breached by several UK and Jersey companies. 4 http://www.theyworkforyou.com/debates/?id=2009-01-27a.271.0