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Islamic Finance: An opportunity for Ireland

Explore the potential of Islamic finance in Ireland, including its motivation, opportunities, and future developments. Discover the growing global market, niche markets, and new sources of investment.

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Islamic Finance: An opportunity for Ireland

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  1. Islamic Finance: An opportunity for Ireland Gary Tobin Department of Finance Jim Byrne Office of the Revenue Commissioners IBF Islamic Finance Seminar - 10th June, 2010

  2. Overview of Presentation Part 1 (Gary Tobin) • Overview of Islamic finance market • Motivation behind Irish legislation • Opportunities for Ireland • Next steps Part 2 (Jim Byrne) • What’s in the legislation • Parameters • Transactions Covered • Future

  3. Developments in Islamic Finance Treasury Services Asset Management 1970s 1980s 1990s Equity Funds Leasing Securitisation Property Islamic insurance Commercial Banking Retail Banking

  4. What is Islamic Finance? • Islamic finance requires all transactions to comply with Shari'a principles (Shari’a is the body of Islamic religious law). • Islamic finance must observe a prohibition on earning interest (riba), on uncertainty/speculation (gharar) and investment in ‘unethical’ businesses, products or services (such as alcohol, tobacco, pork, gambling

  5. What is Islamic Finance 2? • Shari’a compliant products are typically backed by or based on an identifiable and tangible underlying asset; • The investor and investee share the risk of all financial transactions. • Under Shari’a law money is used to measure value and is not an asset in itself.

  6. Islamic Financial Products Murabaha Loan Diminishing Musharaka Mortgage Mudaraba Bank Deposit Sukuk Bond Ijara Lease Wakala Large Deposit

  7. Overview of Islamic Finance Middle East South East Asia Europe

  8. Global Islamic Finance Market • The market for Islamic financial products is focused around 3 main centres; • Middle East (Bahrain, Abu Dhabi, Qatar) • South East Asia (Labuan Malaysia) • Europe (London) • Industry is still in its infancy with issues around standardisation, regulation and consistent interpretation of Shari’a still to be overcome.

  9. Overview of Islamic Finance • Islamic finance is considered to be the fastest growing sector of finance in the world • Assets have grown to $822bn in 2009, an increase of 29% on 2008. • The Global Sukuk market is estimated by S&P to be worth $100bn.

  10. Global Islamic Finance Market • Islamic finance is considered to be the fastest growing sector of finance in the world, globally it is estimated that Islamic finance assets have grown to US $822bn in 2009 an increase of 29% on 2008. • The Global Sukuk market is estimated by S&P to be worth $100bn.

  11. Motivation for Irish legislation

  12. Islamic Finance in Ireland • What we offer currently; • Already it is estimated that Ireland is a location for 20% of Islamic funds domiciled outside of the Middle East. • The Financial Regulator can and does authorise Shari’a compliant investment funds under collective investment scheme legislation.

  13. Islamic Finance in Ireland • The Revenue Commissioners issued an e-brief in October, 2009 that clarifies the tax treatment of Shari’a compliant funds, leasing and insurance services in Ireland. • The technical changes provided in Finance Act 2010 will give equality of treatment to Islamic financial products as compared to conventional financial products.

  14. Opportunities for Ireland • Niche markets • Ireland as a Gateway to Europe • Opportunities for direct investment using the Sukuk (Islamic Bond) structure

  15. New Opportunities for Irish Business (European) • Build on strength of existing leasing, insurance and Funds industry • Takaful/Re-Takaful industry • UCITS structure • Ireland as a gateway to Europe for Islamic finance? • New sources of investment and capital • Sukuk structures

  16. New Opportunities for Irish Business(Domestic) Opportunities for ethical investment • The ethical approach and the physical nature of the traded asset in Islamic finance is an opportunity that the Irish Financial Services industry would be in a strong position to promote to Muslim and Non-Muslim clients. Irish Muslim Community • The Minister for Finance has committed to examining the introduction in a future Finance Bill of additional legislation that will provide the Irish Muslim Community with products consistent with their faith.

  17. Ireland’s Expanding DTA Network

  18. New Opportunities for Irish Business (International) • Ireland is strengthening business links with GCC – DTAs concluded with Saudi Arabia, UAE, Kuwait and Bahrain. • Negotiations are also at various stages with Morocco and Egypt. • Ireland also has strong links with South Asia where we have a DTA with Malaysia and negotiations this year will commence with Indonesia.

  19. Marketing Ireland in The Region Next Steps D.T.A.s M.O.U.s Enabling Legislation B2B

  20. Part 2: What’s in the legislation Jim Byrne Office of the Revenue Commissioners

  21. Parameters • Tax Briefing • Funds • Leasing • Insurance • Legislation provides parity of treatment • Facilitates but does not require Shari’a compliance • Focus on Substance not Form

  22. Transactions Covered • Credit transactions – loans (including asset backed loans) and mortgages • Deposit transactions – bank deposit • Investment transactions – investments in bonds or other securities

  23. Credit Transactions • Credit return treated as interest • Where plant/machinery, customer entitled to capital allowance on asset • Where finance raised, customer not entitled to loss relief where sells asset for lower price.

  24. Deposit Transactions • Customer places amount with financial institution and shares in profits / losses from use of money by institution • No partnership for tax purposes between bank and customer - No permanent establishment for customer • DIRT applies to “return” as if it were interest • Section 130 rules (profit participating interest) apply where return in excess of normal commercial amount

  25. Investment Transaction • Certificates or bonds issued by company • Certificates entitle holder to return based on profits or gains from underlying assets • Return treated as interest on security • Section 130 applies if excessive interest paid. • No Stamp Duty on issue, transfer or redemption of certificate

  26. Future • Guidelines • Domestic Market • Revenue Opinions

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