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Dear ,
Welcome
to our November's edition of our e-newsletter. The aim of the newsletter is to walk you through
innovative solutions, strategies, and best practices that will help you
minimize the potential tax burden either yours or your client's business
operations. This month's edition offers a glimpse of what's new
in relation to Legal, Financial and Tax issues along with some articles &
Tax examples.
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Fig.1
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Cyprus - A
Major Jurisdictional Contender for Holding Companies
The two major factors that
investors consider when incorporating a holding company are: (i) the tax
efficiency in accumulating the profits of the subsidiaries into the holding
company; and (ii) minimization of capital gains taxes arising from the
liquidation of participations in subsidiaries and/or the liquidation of the
holding company and then repatriation of the investment.
The Cyprus Income Tax Law that entered into force on 1 January 2003 [Law
118(I)2002] harmonized income taxation in Cyprus with the EU acquis and
OECD’s guidelines for eliminating unfair tax practices. In conjunction with
the accession of Cyprus to the EU in May 2004, Cyprus became a premier
holding company jurisdiction.
In general, the law provides that corporate trading profits are taxed at
10%, which is the lowest among the EU Member States. Profits from the sale
of shares and securities are totally exempted provided they are listed in a
stock exchange. Dividend income is taxed at 15% but the law provides an
exemption for foreign source income rendering it exempted in most cases.
There is no withholding tax on the distribution of dividends of the Cyprus
Holding Company (‘CHC’).
In particular, a CHC may be used very effectively for international tax
planning purposes. In this respect, the following merit consideration:
A. TREATMENT OF DIVIDENDS
1. Extraction of Dividends from Subsidiaries
A CHC can use the EU Parent/Subsidiary Directive (2003/123/EEC) and Double
Tax Avoidance Treaties (‘DTT’) that Cyprus has signed with other countries
to extract dividends from EU and other subsidiaries at lower dividend
withholding tax rates than normal at the country of operation of the
subsidiary. This is sometimes 0%, if the dividends arise within the EU or in
an Eastern European country that Cyprus has a favourable DTT network.
2. Taxation of Incoming Dividends to the CHC
The domestic law provides that foreign source dividends are totally exempted
from the Special Contribution Tax of 15% provided that the CHC participates
with at least 1% in the capital of the subsidiary. This above exemption does
not apply when:
a. the overseas tax burden on the income of the paying company is
significantly lower than the Cyprus tax of the company receiving dividend
(the Cyprus Income Tax Office has ruled this to be less than 7.5%); and at
the same time
b. the overseas company paying dividends engages directly or indirectly in
activities which give rise to more than 50% of its income from
investments.In case the dividends received by the CHC will be taxed in
Cyprus, the domestic law provides a unilateral tax credit for all taxation
that the income has suffered in the other state as far as it is attributed
to the dividends received.
3. Distribution of Dividends by the CHC
There is no withholding Tax on Dividends to non-residents irrespective of
the country of residency or any DTT.
B. TREATMENT OF CAPITAL GAINS TAX (‘CGT’)
1. Capital gains tax from income on disposal of securities and liquidation
of CHC
There are no CGT from gains accrued from the disposal of participations in
subsidiaries as well as any immovable property held outside Cyprus. Further
more there is no capital gains tax or any other tax which arise from the
liquidation of a CHC owned by non-residents.
C. OTHER BENEFITS
1. Thin Capitalisation Rules
There are no debt-equity restrictions and therefore a CHC may be completely
financed with loans, and any arm’s length interest paid to a parent will be
fully tax deductible.
2. Substance Requirements
There are no substantive requirements for the CHC.
3. Minimum Holding Period
There is no minimum period of holding shares in order to be able to use the
tax exemption on dividend or gains accruing on disposal of shares.
4. VAT
CHC’s are not obliged to register to the VAT. However, they may register
voluntarily.
5. Group of Companies
Set-off of group losses is allowed where both the surrendering and claiming
companies are members of the same group for the whole year of assessment and
any payment by the claiming company to the surrendering company up to the
amount of the loss is ignored for tax purposes. The loss to be surrendered
will be the loss for that year and not of previous years. A company is a
member of the same group if it is a 75% subsidiary of another or if it and
others are fellow subsidiaries by 75% of a third company as to ordinary
shares with voting rights and beneficial entitlement to profits or assets on
distribution.
D. ACCOUNTING/AUDITING
The CHC must maintain proper books and prepare yearly audited financial
statements in accordance to IFRSs. Disclosure is not required, but the
consolidated profit and loss account must show how much of the consolidated
profit or loss for the financial year is dealt with in the accounts of the
company. Audited annual accounts must be submitted to the Income Tax
Authority.
E. ILLUSTRATION
In the illustrative example above, a CHC has subsidiaries within the EU and
outside the EU. For the EU subsidiaries, based on the EU Parent/Subsidiary
Directive, the Austrian Company will be able to pay dividends to the Cyprus
Company at 0% provided that the Cyprus Company fulfils the EU
Parent/Subsidiary Directive requirements (i.e. minimum 15% participation as
of 1.1.2007 for a minimum holding period of 2 years). If participation
requirements are not fulfilled, then the dividends will be taxed under the
DTT at 10% withholding tax prior to distribution to Cyprus compared to the
normal rate of 25%. Dividend income of the CHC will not be taxed. Dividends
from the Russian subsidiary will be extracted at 5% based on the existing
DTT between Cyprus and Russia. The BVI subsidiary will pay dividends at 0%
to the CHC and the CHC will then apply the existing CFC rules to determine
whether these dividends should be taxed at 15% in Cyprus. If taxed, then
Cyprus will unilaterally provide a tax credit for any tax paid by the
subsidiary.
The CHC can then distribute dividends anywhere in the world with 0%
withholding tax based on the domestic Income Tax Law.
Upon liquidation of any of the subsidiaries, the CHC will not attract CGT in
Cyprus. It should be noted that the Commissioner of Income Tax provides
rulings in advance if requested. Hence, the above scenario exemplifies why
Cyprus is an ideal Holding Company jurisdiction.
E. REQUIREMENTS TO INCORPORATE A CHC
1. Company name: Company name has to be registered via the Registrar of
Companies.
2. Objects of CHC: Every company must have an Article and Memorandum of
Association stating clearly, albeit in general terms, the activities of the
company.
3. Capital structure: no minimum issued and paid up capital; €1000 is common
practice.
4. Shareholders: Minimum 1; shares can be held in trust for the beneficial
owners.
5. Directors: The majority of Directors must reside in Cyprus to show that
management and control is exercised from Cyprus and thus enjoys the Tax
planning advantages.
6. Company Secretary: It is required by law; most usually Cyprus law firms
act as a Secretary.
7. Registered Office: Cyprus, by default.
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137 Gladstonos Str Lemesos 3032 CYPRUS
Tel:+357 25 820 540 Fax:+357 25 745 743 www.theocharides.com
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The information contained in this newsletter is for reference purposes only, and is provided
by our firm as a complimentary service. Many sources were used in compiling
this information including marketing materials, articles, speeches,
studies, newspapers, laws, structures etc. Due diligence must be exercised
and additional research should be conducted before acting on any opinions.
George Theocharides Law Office does not warrant the accuracy or reliability
of any information made available herein.
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