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Classification of payments to deposit insurance and financial stability schemes

This report examines the classification of payments made by banks and credit institutions to insure customer deposits. It presents findings from a questionnaire that asked delegates to describe existing schemes and how payments are classified as tax revenue or fees for service. The report proposes next steps for addressing classification issues.

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Classification of payments to deposit insurance and financial stability schemes

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  1. Classification of payments to deposit insurance and financial stability schemes Maurice Nettley OECD Centre for Tax Policy and Administration 16-18 November 2010

  2. Secretariat’s questionnaire • Reports on responses by Delegates to the Secretariat’s questionnaire on classification of payments made by banks and other credit institutions to insure deposits made by customers • Asks for comments by Delegates on the Secretariat’s proposals for taking the topic forward

  3. Questionnaire • Asked Delegates to describe any schemes operating under 3 headings - similar to Swedish stability scheme - similar to financial sector interventions operating in the UK - other schemes being operated with similar aims • Asked for each scheme whether any payments received are being classified as tax revenue or fee for a service in National Accounts or as tax revenues in OECD Revenue Statistics

  4. Schemes reported by Delegates (1) • Responses received from 21 countries • Reported schemes provisionally allocated into one of six groups listed in Annexes A-F of the paper ( subject to comments from Delegates )

  5. Schemes reported by Delegates (2) A -Stability fee schemes (4) B -Schemes similar to UK deposit protection scheme (2) C -Other government sector scheme (6) D -Fund operated outside the government sector (10) E -Non-state scheme backed by deposit takers (3) F -Voluntary schemes (2) 2 countries reporting that no schemes exist

  6. Classification of payments made as tax revenues or fee for service (1) • Taxes defined as compulsory unrequited payments to government • Taxes are unrequited in the sense that benefits provided by government to taxpayers are not normally in proportion to their payments

  7. Classification of payments made as tax revenues or fee for service (2) • Under these definitions, payments made under the schemes listed in Annexes D, E and F cannot be considered as taxes - D payments are not being made to government - E transaction is between banks and an institution outside the government sector - F participation is voluntary • There are a number of different practices being operated in the schemes listed in Annex A-C

  8. Classification of payments made as tax revenues or fee for service – Annex A • 4 countries reported Stability fee schemes • The payments will be classified as tax revenues in the National Accounts of Germany, Hungary and Sweden • Of these, only Hungary want to classify as a tax in OECD Revenue Statistics • The United States expect to classify the payments as a fee for service

  9. Classification of payments made as tax revenues or fee for service – Annex B • 2 countries reported schemes in the category of scheme operating in the United Kingdom • In Australia, the priority claim on assets is treated as a fee for service but any further levy to overcome the shortfall would be treated as a tax • In the United Kingdom, the realisation of assets is treated as a capital tax in National Accounts but not in OECD Revenue Statistics

  10. Classification of payments made as tax revenues or fee for service – Annex C • 6 countries reported other government sector deposit schemes • In Canada, the payments are classified as taxes in both National Accounts and OECD Revenue Statistics • In Denmark, the payments are not part of public administration in the National Accounts • In Australia, Belgium, Germany, and the United States, the payments are classified as a fee for a service

  11. Definition of the term ‘unrequited’ • Tax payment is compulsory with no direct provision of a service whereas a fee is paid for a specific service • But a payment could be regarded as a fee and not a tax even when there is no specified provision of a service for a particular entity if payments are entirely channelled back to the sector of the economy where companies are subject to the payment • This is the case for the stability fee in some countries – as the levy is made on all firms eligible for support , it may be unrequited for an entity but for the sector as a whole it does finance a potential service

  12. Proposals for next steps • Delegates to propose any comments and corrections to the text in Annexes A-F including proposals to switch schemes between Annexes • Any submissions by Delegates not so far responding can be added to the summary • Secretariat to provide a paper for the May 2011 WP2 meeting with proposals for the way forward on classification issues eventually leading to agreed changes to the text of the OECD Interpretative Guide

  13. Thank you and any questions?

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