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BRICs and Double Taxation Conventions

BRICs and Double Taxation Conventions. Douglas Rankin Andrew Dawson. What should DTCs do?. Mitigate double taxation Mitigate fiscal evasion Remove/reduce barriers to trade and investment Provide certainty of tax treatment. Mitigating Double Taxation. DTCs share out taxing rights

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BRICs and Double Taxation Conventions

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  1. BRICs and Double Taxation Conventions Douglas Rankin Andrew Dawson

  2. What should DTCs do? • Mitigate double taxation • Mitigate fiscal evasion • Remove/reduce barriers to trade and investment • Provide certainty of tax treatment

  3. Mitigating Double Taxation • DTCs share out taxing rights • States concede taxing rights given by domestic law • Source state / residence state taxation

  4. What do UK DTC users want? • Low/zero w/t on passive income • Limited source state taxation of business profits in line with OECD standard • Ditto services income, capital gains, leasing, other income • Arm’s length standard for transfer pricing

  5. Brazil’s treaty policy Dividends • No w/t concession in a DTC • Rates above OECD norm • Branch profits tax • No zero rate for pension funds, direct investors

  6. Brazil’s treaty policy Interest • 15% rate ( OECD 10%, UK pref 0%) • No relief where interest paid to a pe in third state • Definition catches non-interest income

  7. Brazil’s treaty policy Royalties • w/t rates of 10,15% (OECD, UK 0%) • wide definition to include leasing and technical fees…see Protocols to DTCs

  8. Brazil’s treaty policy Capital Gains • Extensive source state taxation • Share sales are caught

  9. Brazil’s treaty policy Services OECD non-members position on article 5 • “Brazil does not agree with the interpretation provided for in paragraphs 42.11 to 42.48 of the Commentary on the taxation of services, especially in view of the principle of taxation at the source of payments in its legislation” ..July 2008

  10. Brazil’s treaty policy Services • Full taxation if payment is made from Brazil • Pe requirement displaced • Immaterial where work is carried out • Similar position on electronic commerce

  11. Brazil’s treaty policy • No article 9(2) • Source state taxation of other income • Tax sparing • ……..more…

  12. UK experience • Talks in late nineties • Air and Shipping Agreement • 2007 informal discussions • Precedents

  13. Experience of others • “We have reviewed several of the tax treaties recently ratified between Brazil and other countries. Many of the provisions included in those treaties would NOT be helpful to US companies if they were included in a US/Brazil treaty” • “A treaty without reasonable accommodations similar to recent US tax treaty practice …could be a step backwards” NFTC to US treasury, July 2008

  14. Brazil taxation policies: prospects for change • Treaty policy linked to general taxation policy • External pressure • Internal pressure • Expectations

  15. CHINA • DIVIDENDS • 10% RATE • No zeros • Direct investors • INTEREST • 10% RATE • Limited zeros

  16. CHINA • ROYALTIES • Broad definition • No zeros • Mitigation for leasing • Attachment to technical fees

  17. CHINA • Capital Gains • Gains on share sales • Substantial participation • Property companies • Other Income • Source state taxation

  18. CHINA • SERVICES • Source state taxer • Days of presence • UN Model • IPS • Old article 7

  19. CHINA • Transfer pricing • ALP ….. Article 9(2) • APA program • MAP …Arbitration • OECD work/ SAT bulletins

  20. Russia • Existing UK-Russia DTA 1994 • Close to OECD • Dividends 10% • Interest: residence state only • Royalties: residence state only • No day counting services PE • Corresponding adjustment in Article 9

  21. Russia (cont) • But • Subject to tax test in dividends article • Some Russian DTAs have lower rates • Russian model • Higher withholding rates • Article 9(2)? Arbitration? • Day counting services provision? • No recent DTAs with comparable countries

  22. India • UK-India DTA 1993, replaced 1981 DTA • A lot of source state taxation • 90 day services PE; stock of goods • Service PE if in connection with oil etc • Domestic law restrictions on PE expenses • Wide royalty and technical fees provisions • Withholding on passive income of 15% • Capital gains taxed with no restrictions

  23. Indian DTA interpretations • Non-recognition of partnerships • Relegation of POEM • Aggregation of separate projects to form PE • Article 5(2) examples are a priori PEs, etc • Narrowing of scope of prep & aux in Article 5(4) • Representative office concludes contracts • Easy to conclude contract & be a dep. Agent • Indian affiliated service company often a PE

  24. Indian DTA interpretations (cont.) • Service PE even if services performed outside India • Satellite’s footprint can be a PE • Mobile phone roaming agreement creates a PE • A cable or pipeline can be someone else’s PE • Commentary’s circumscription of royalties are all wrong • “Process” in Article 12 is a wide concept • Equipment leasing includes services

  25. India – prospects for change? • Present position suits a large capital importer • Difficult not to be in India, but…? • Growth, development, capital exporting? • Courts a restraint on extreme interpretations

  26. BRICs and the OECD • Russia, India and China all observers to OECD • Observers not required to agree OECD principles • Brazil has shown limited interest in OECD • OECD looking for enhanced engagement • Implications for OECD product and influence

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