Indian U.S. Tax Planning



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Indian U.S. Tax Planning STEP Silicon Valley Palo Alto, CA January 22, 2014 Mahesh Kumar mahesh.kumar@nishithdesai.com Brian br@rowbotham.com Peter Trieu ptrieu@rowbotham.com & Company 101 2nd Street, Suite 1200 San Francisco, California 94105 USA +1 (415) 433-1177 www.rowbotham.com Nishith Desai Associates www.nishithdesai.com

Table of Contents Reporting Non-US Investments 3 Foreign Trust Disclosures 4 Case Study: US Techie Moving Back to India 5 Case Study: Foreign Trust with US Beneficiaries (1) 6 Case Study: Foreign Trust with US Beneficiaries (2) 7 Case Study: FBAR Penalty 8 Expatriation Rules 11 Case Study: Expatriation (1)- US Citizen 12 Case Study: Expatriation (2)- Visa Holder 13 Case Study: Expatriation (3)- Green Card Holder 14 Biography 15 2

Reporting Non-U.S. Investments Filing Activities include ownership in: Potential Penalties IRS Forms for Non-compliance (1) Non-U.S. Corporation 5471 $10,000 / per year (2) Non-U.S. Partnership entity 8865 $10,000 / per year (1) (2) (3) Non-U.S. Trust 3520 25% of distribution 3520A 5% per month up to 25% (4) Transfers of Assets to 926 25% of value (max $100,000) a non-u.s. corporation (5) Specified Foreign 8938 $10,000 / per year Financial Assets (6) Foreign Bank & FinCEN 114 50% of highest balance each Financial Account (formerly TDF 90-22.1) year (1) Potential criminal prosecution can result for non-reporting. (2) If a U.S. resident files nonresident return based on an income tax treaty, they are still required to comply with all the disclosures above. 3

Foreign Trust Disclosures Disclosures by US Beneficiaries of Foreign Trusts 1. FBARs must be reported by beneficiaries of foreign trust if beneficiary is a majority current beneficiary. To be a majority current beneficiary, beneficiary must be entitled to more than 50% of current trust income. 2. Form 8938 must be filed by all beneficiaries of a foreign trust if actual distributions plus mandatory distributions during the year exceed the prescribed thresholds (e.g. $50k). 3. Form 3520 must be filed only if actual distributions are received. No reporting is required for simply being in a class of eligible beneficiaries. 4. A foreign trust is any trust that is not a domestic trust. IRC 7701(a)(31)(B). A trust is a domestic trust if both court test and control test are met. IRC 7701(a)(30)(E). Court Test- a court within the U.S. is able to exercise primary supervision Control Test- only U.S. persons have authority to control all substantial trust decisions 4

Case Study: US Techie Moving back to India Facts: 1. US Citizen 2. Founder stock 3. Company to have IPO Plan: 1. Gift pre-ipo Indian parents Gift tax exemption $5,340,000 (2014) 2. Parents acquire foreign company 3. Foreign company establishes foreign grantor trust Trust benefits parents during life, benefits client after parents death California revocable living trust; US trustee Still foreign trust since revocable by parents Indian foreign exchange rules 4. Trust sales post-ipo stock No US tax to parents No US tax to client 5. Parents file check-the-box election Distributions by trust treated as gifts US Citizen gift Indian Parents Foreign Company US Trust US LLC -US Stock 5

Case Study: Foreign Trusts with U.S. Beneficiaries (1) Indian Father Indian Trust Indian Company Shares U.S. Children - Indian trust is revocable during father s life - Non US income of trust is not taxable in U.S. during father s life - Indian trust becomes irrevocable upon death of father - Non U.S. trust is treated as a nonresident alien - Income distribution to U.S. children taxable - Accumulated income in foreign trust can result in higher U.S. tax 6

Case Study: Foreign Trusts with U.S. Beneficiaries (2) ALT (1)- Foreign Trust Foreign Father ALT (2)- U.S. Trust Foreign Father ALT (3)- Foreign Property Foreign Father Foreign Trust U.S. Trust Foreign Trust US Home US Home Foreign Home - Foreign trust reporting (Form 3520) by U.S. beneficiaries required every year - Foreign trust is taxpayer treated as a nonresident individual - Accumulated income in trust taxed at ordinary rates, and charged interest - Foreign trust reporting (Form 3520) by U.S. beneficiaries required in initial year only - U.S. Trust is taxpayer - Accumulated income rules do not apply - Foreign trust reporting (Form 3520) by U.S. beneficiaries required every year - Foreign trust is taxpayer treated as a nonresident individual - Accumulated income in trust taxed at ordinary rates, and charged interest 7

Case Study: FBAR Penalty! Decision to make: (a) File back years FBARs; or (b) Submit to OVDI program - 8 years returns audited - large penalties for non-reporting of foreign accounts - eliminates risk of potential penalties, but substitutes certain penalty (25% of highest account balance) 8

Case Study: FBAR Penalty! 9

Case Study: FBAR Penalty! Action: 1. Withdraw from OVDI 2. Submit to audit in normal course Matter submitted to centralized office for withdrawals Result: 1. FBAR penalties reduced to $40k ($10k for 2 years per taxpayer) 2. Penalized years attributed to reliance upon CPA without providing full information 3. Remaining years abated based on reasonable cause Foreign accounts inherited, not established by taxpayer Accounts designated as Not Ordinarily Resident (NRO) Professional advice obtained in India Professional advice obtained in US Minor had insufficient mental capacity 10

Expatriation Rule Covered Expatriate - U.S. Citizen - Long-term Resident Thresholds - Assets: $2 million plus - Average income tax Past 5 years - $155,000 Required filing: Form 8854 (certification of past 5 years) 11

Case Study: Expatriation (1)- US Citizen Choosing Between U.S. Citizenship and $20 Million! Father: Indian citizen and resident Daughter: U.S. citizen Problems - Indian gifting No gift or estate tax - Prior gifts to daughter in U.S.: $20mm in Indian listed shares - Age 24, U.S. University - Giving up U.S. citizenship (by appointment) - Getting Indian citizenship (2 years) - Expatriation in 2013: - Filing Form 8938 Foreign Financial Assets High value in 2012 return - Exit tax = $4.6 mm ($20mm - $650,000 exclusion) x 23.8% (20% + 3.8%) - Valuation strategies with family limited partnership 12

Case Study: Expatriation (2)- Visa Holder Facts: 1. E2 Visa holder 2. Physically present in the US year round 3. Founder stock in US tech company 4. Company going IPO 5. Plan to return to India Plan: 1. Avoid substantial presence in US 2. Establish closer connection to Singapore (no treaty with US) Spend less than 183 days in current year Treated as nonresident for full year Still treated as resident for CA purposes until departure; consider using trust Returning within 3 years results in tax as US resident on US sourced income Spend more than 183 days in current year Treated as resident until last day of physical presence if New tax home established; and Not US resident in following year Returning within 3 years results in taxation as US resident on US sourced income 13

Case Study: Expatriation (3)- Green Card Holder Facts: 1. Green card holder for 10 plus years 2. Assets in excess of $2 million 3. Plan to relinquish green card Plan: 1. Reside India for past 8 years 2. File nonresident treaty based returns and foreign disclosure filings 3. Relinquish green card in year 9 No longer long-term green card holder No Form 8854 filing until year 9 Notice 2009-85 14

Biography BRIAN ROWBOTHAM, CPA: (br@rowbotham.com) Mr. Brian, Managing Partner at & Company in San Francisco, advises executives and high net worth families on global tax planning. With over 35 years experience, he provides consulting services to real estate and investment funds, U.S. and foreign technology companies. Mr. is a frequent speaker to international tax associations and is a guest lecturer at the Haas Business School at the University of California, Berkeley. He was recently featured on the cover of the California CPA magazine for tax and business planning for U.S. companies expanding into Asia. Mr. has a Bachelor s degree and MBA (with Honors) from the University of California, Berkeley, and is a Certified Public Accountant in California. Peter Trieu, Esq., LL.M: (ptrieu@rowbotham.com) Peter Trieu is a Partner at & Company. His practice focuses on advising clients regarding domestic and international tax planning and compliance. He also assists clients with their estate plans. His clients include entrepreneurs, multi-national families, high net-worth individuals and businesses. Prior to joining the firm, Mr. Trieu worked for several years as a Trusts and Estates attorney. Mr. Trieu is an attorney licensed to practice law in the State of California. He earned a Bachelor of Arts in Business- Economics with a minor in Accounting from University of California, Los Angeles. He graduated cum laude from University of California, Hastings College of Law, where he had a concentration in taxation, and earned a Master of Laws (LL.M.) in Taxation, with honors, at Golden Gate University. & Company is a full service Certified Public Accounting firm with extensive real estate experience. We provides audit, accounting, and domestic and international tax services to individuals and businesses, both public and private. The firm serves its global clientele from its offices in San Francisco and Silicon Valley. The firm is a member of Geneva Group International, a worldwide association of independent professional firms. Our practice includes extensive domestic and international income, gift, and estate planning services for business executives, entrepreneurs and investors from Asia including China, Hong Kong and Singapore. The firm provides consulting to EB-5 investors including: prearrival income and estate planning, compliance services for US returns, and representation in tax audits. 15

Biography Mahesh Kumar: (mahesh.kumar@nishithdesai.com) Mahesh Kumar is a partner at Nishith Desai Associates. Mr. Kumar leads the international tax and estate planning practice in the Singapore office of Nishith Desai Associates. He is an attorney and advises high net-worth client in complex estate planning matters and structuring of cross-border wealth. He advises entrepreneurs on globalization structures and strategies. He also represents clients in complex international tax litigation in India. Nishith Desai Associates is a research-based Indian law firm with offices in Mumbai, Silicon Valley, Bangalore, Singapore, Mumbai BKC, Delhi and Munich that aims at providing strategic, legal and tax services across various sectors; some of which are IP, pharma and life-sciences, corporate, technology and media. The firm has had many accomplishments and won several accolades internationally as well as domestically for being an industry leader; and continues to be ranked consistently as one of the top 5 in India. Their client list includes many of the Fortune 500 and other successful Indian businesses. 16