180 likes | 339 Views
Real Estate Funds and Tax. Caspar Noble. Director, Private Client Services. 27 October 2006. Real Estate Funds Current commercial situation.
E N D
Real Estate Funds and Tax. Caspar Noble Director, Private Client Services 27 October 2006
Real Estate FundsCurrent commercial situation • Shift in real estate ownership patterns from direct to indirect ownership via professionally-managed, diversified funds, evidenced by rapid growth of funds under management: • Globally, there was €695bn of real estate held in RE funds at end 2005 (€485bn in 2004) of which €405bn in Europe (€310bn in 2004) • Increase in cross-border capital flows within EU and, particularly, the eurozone: • €54bn in cross-border acquisitions in 2004 compared with €18bn in 1999 • Recent push into emerging markets • $3bn of cross-border acquisitions in Asia-Pac (excl Japan) in 2004 • Impact of REIT regimes globally • Trends: • Increased complexity • Growing internationalisation
Real Estate FundsTax concerns 3 key levels: Investors Fund Asset
Real Estate FundsAsset - acquisition • Transfer taxes / registration duties payable by purchaser? • Spain - 6%/7% depending on the location of the property • UK: stamp duty at 4% • France: 4.8% transfer tax on the sale of shares in French real estate companies or 4.89% registration duty on the purchase of buildings older than 5 years • Germany: 3.5% transfer tax • Capital duty? • 6th directive tax? • In many jurisdictions the above can be limited by acquisitions through local property holding Companies. May also be an administrative/legal requirement
Real Estate FundsAsset – exit • Some jurisdictions do not tax capital gains realised by non resident investors in domestic real estate (eg UK). • Owning property through a local holding company may allow a tax free gain to be achieved by a share sale. • Commonly a separate company will be used to hold each company as this gives more options on exit. • ‘Participation Exemption’ – partial or complete exemption from tax on gains on the sale of shares (eg Netherlands, Luxembourg, Belgium).
Real Estate FundsAsset – income and expenses Income recognition: Level of tax deductibility of expenses pushed down to asset level likely to be regulated: • Thin capitalisation rules: • UK – arm’s length • Germany – 60:40 debt to equity on internal financing • Luxembourg – 85:15 debt to equity, however 99:1 may be permitted under a tax ruling • Transfer pricing rules: • UK – arm’s length • Germany – arm’s length • Luxembourg – arm’s length, however interest margin can be agreed in a tax ruling • Other deductions – ‘tax depreciation’ • Eg in Spain, tax depreciation is available on all tangible fixed assets (except land) at particular rates, depreciation methods and terms established by the tax regulations for various economic and industrial sectors
Real Estate FundsKey structuring considerations • Transparency: Investor receives share of income flow and capital value of real estate in line with percentage share of investment • Tax neutrality: Investment vehicle should be tax transparent, or at least not add material tax cost • Liquidity: Investor may be able to dispose of shares in the vehicle separately from asset itself
Real Estate FundsChoice of vehicle – public structures Real Estate Investment Trust – an alternative to listed property companies • Key = no tax at vehicle level for a REIT but investment and distribution requirements, etc • Now more than 20 jurisdictions eg: • 1960 - US REIT (Real Estate Investment Trust) • 1969 - Dutch FBI or FII (Fiscale Beleggingsinstelling) • 2003 - French SIIC (Sociétés d’Investissements Immobiliers Cotées); • 2004 - Italian FII (Fondi di Investimento Immobiliare); • 2004 - Luxembourg SICAR (Société d’Investissement à Capital Risque) • 2007 - UK REIT • 2007/2008 - German REIT (?) • Displacing listed property companies?
Real Estate FundsReal Estate Investment Trust - conditions • Should be no tax at level of Fund Advantage • Investment requirements • Distribution requirements • Recently in UK, proposed in March 2005 and to be introduced on 1 January 2007 • Closed Ended UK resident listed company • Conversion charge • 22% withholding tax on dividends • Taxable as UK property income in the hands of the investor Potential disadvantage
Real Estate FundsFund Type of Fund and refinements to the Fund maybe driven by investors:
Real Estate FundsReal estate fund investors Investor key concerns, some common to all (even non taxables), others specific eg: • Asset and Fund structured to minimise tax at those levels (as above) • No tax withholdings on distributions from Fund • Form of distribution from Fund – Capital/Income • No investor exposure to individual “CFC” rules eg US PFIC, UK s739 issues • Ability to pick up credits for underlying taxes, if relevant - eg US • Limit or eliminate investor filings/disclosure caused by structure eg French 3% annual tax on real estate and US tax filings
Real Estate FundsReal Estate fund investors Addressing investor key concerns: Need to be addressed on a case by case basis: • Common issues to address in structure eg tax leakage and withholdings • Solution to specifics depends on weighting of investor concerns • Can be addressed in structure or add ons eg structure which can give capital and income returns, or feeder to give capital? • Structural solution to French 3% tax by listing or listed feeder? • Check the box on Fund structure for US taxables and for US tax exempts?
Contact details Caspar Noble’s contact details: Direct tel : +44 (0)20 7007 3393 Direct fax : +44 (0)20 7007 0178 Email : casparanoble@deloitte.co.uk Address : Hill House, 1 Little New Street, London, EC4A 3TR
Member of Deloitte Touche Tohmatsu