Michael Butler - PWC South Africa
Transcription
Michael Butler - PWC South Africa
www.pwc.co.za South African investments in Nigeria – Tax structuring and Exchange controls 18 November 2014 Michael Butler Integrated Global Structuring – The Fundamentals Overlap TREASURY MANAGEMENT Cash Management & Redeployment (Offshore/Onshore) Manage Forex Tax Efficient Lending Transfer Pricing GPA PROFIT MANAGEMENT Foreign Tax Credit & Loss Utilisation INTEGRATED GLOBAL STRUCTURE Business Model Planning Holding Companies In-Country Planning TAX ATTRIBUTE MANAGEMENT Manage Deferral Positions IP & Royalty Planning South African investments in Nigeria - Tax structuring and Exchange controls PwC CFC / Participation Exemption Planning 18 November 2014 2 International Tax Planning Methodology The goal is to: • Increase the potential for profits • Limit the taxation of those profits • Repatriate them with as little further tax as possible, i.e. reduce global tax charge South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 3 Various possible structures 01 02 03 04 Investing straight from South Africa Investing from South Africa through an SA Headquarter Company Investing via a low tax jurisdiction Multinational holding SA and Nigeria Companies South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 4 Cross border flows to consider • • • • Dividends Interest Management fees Royalties Taxes to consider include: • Withholding taxes (“WHT’s”) • Income Tax • Transfer Pricing • VAT Also consider exchange controls (SA and Nigeria) and work permits South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 5 1) Direct Holding SA OpCo Nigeria OpCo • • • Interest Royalties Management fees Dividends Nigerian Corporate Tax rate of 30% The SA Tax rate of 28% The following expenses are deductible in Nigeria (with various caveats), but suffer WHT’s: • Interest (7.5%) • Royalties (7.5%) • Management fees (10%) South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 6 Income Flows Deductible Income Flows Non-DTA SA DTA Dividends 10% 7.5% Interest 10% 7.5% Royalties 10% 7.5% Consultancy-, management fees and fees for technical services 10% 10% 10% 7.5% Non-deductible Flows Dividends SA gives credit (with certain restrictions or requirements) for WHT. Dividends are exempt in SA. South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 7 2) Using an SA Headquarter Company SA OpCo SA HQ Co Nigeria Interest Royalties Management fees Dividends WHT’s similar to direct holding, but benefits include: • • • • • • • Non-Resident for excon purposes Foreign dividend exemption No dividends tax Forex benefits No CFC regime CGT benefits No thin capitalization (“thin caps”) South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 8 3) Investing via a offshore low tax jurisdiction SA Royalties (?) Management fees Mauritius Interest Dividends Nigeria Pro’s: • Mauritius’s tax maximum 3% • Mauritius is outside SA Excon Con’s: • No DTA with Nigeria • SA credit for WHT’s lost, so if management services are performed from SA on I.P held in SA, then related payments should not be routed via Mauritius. South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 9 Nigeria – Treaty Withholding Rates Table Dividends Individuals, companies (%) Interest [1] Qualifying companies (%) Royalties (%) • Effective date: 1 January 2014 (%) Treaty Rates Treaty With: Belgium Canada China (People's Rep.) Czech Rep. France Netherlands Pakistan Philippines Romania Slovak Republic South Africa United Kingdom Rates without DTA 15 15 7.5 15 15 15 15 15 12.5 15 10 15 12.5 12.5 7.5 12.5 12.5 12.5 12.5 12.5 12.5 12.5 7.5 12.5 12.5 12.5 7.5 15 12.5 12.5 15 15 12.5 15 7.5 12.5 12.5 12.5 7.5 15 12.5 12.5 15 20 12.5 15 7.5 12.5 10 10 10 10 South African investments in Nigeria - Tax structuring and Exchange controls PwC • Withholding tax rates that are applicable to dividend, interest and royalty payments by Nigerian companies to non-residents under the tax treaties in force as at the date of review. The 10% domestic withholding tax rate is reduced to 7.5% for dividends, interest and royalties for companies in countries with an effective tax treaty with Nigeria. Where, in a particular case, a treaty rate is higher than the domestic rate, the latter is applicable. 18 November 2014 10 4) Multinational Investing in Nigeria and SA OPTION A OPTION B Intl. Hold Co Intl. Hold Co Nigeria Co SA Group SA HQ Co SA Group Nigeria Co Pro’s: • Utilise SA/Nigerian DTT • SA Headquarter Co’s have: • Non-Resident for excon purposes • Foreign dividend exemption • No dividends tax • Forex benefits • No CFC regime • CGT benefits • No thin capitalization (“thin caps”) South African investments in Nigeria - Tax structuring and Exchange controls PwC 18 November 2014 11 Questions ? ? ? ? ? ?? ? South African investments in Nigeria - Tax structuring and Exchange controls PwC ? ? ? ? ? 18 November 2014 12 Thank you PricewaterhouseCoopers Tax Services (Pty) Ltd. No. 1 Waterhouse Place, Century City 7441 PO Box 2799, Cape Town 8000 South Africa T: +27 (0)21 529 2393 M: +27 (0)83 457 0534 [email protected] Michael Butler Associate Director This publication has been prepared for general guidance on matters of interest only, and does not constitute professional advice. You should not act upon the information contained in this publication without obtaining specific professional advice. No representation or warranty (express or implied) is given as to the accuracy or completeness of the information contained in this publication, and, to the extent permitted by law, [insert legal name of the PwC firm], its members, employees and agents do not accept or assume any liability, responsibility or duty of care for any consequences of you or anyone else acting, or refraining to act, in reliance on the information contained in this publication or for any decision based on it. © 2014 PwC Inc. [Registration number 1998/012055/21](“PwC”). All rights reserved. PwC refers to the South African member firm, and may sometimes refer to the PwC network. Each member firm is a separate legal entity. Please see www.pwc.co.za for further details.
Similar documents
LETTER TO THE CHIEF OF ARMY STAFF NIGERIAN ARMY REQUESTING OFFICIALLY FOR THE SERVICES OF TWO MILITARY PERSONNEL IN OSUN STATE, NIGERIA By Professor (Grandmaster) Adefioye Sunday Adewumi
This letter was sent to the Chief of Army Staff of the Nigerian Army on 25th of January, 2017 to officially request for the services of two undercover military personnel in Ile Ife, Osun State, “Nigeria”. The Chief of Army Staff have the apex and highest authority over ALL Military affairs that involve ALL Nigerians within the Nigerian border including making independent military decisions and embarking on independent intelligent military operations inside "Nigeria". The letter is presented exactly as it was sent via the Nigerian Army website to the Nigerian Military Number One Person and Chief raw and unedited.
More information