{"id":210912,"date":"2017-02-24T02:54:07","date_gmt":"2017-02-24T07:54:07","guid":{"rendered":"http:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/uncategorized\/new-tax-measure-takes-aim-at-offshore-trusts-biznews.php"},"modified":"2017-02-24T02:54:07","modified_gmt":"2017-02-24T07:54:07","slug":"new-tax-measure-takes-aim-at-offshore-trusts-biznews","status":"publish","type":"post","link":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/offshore\/new-tax-measure-takes-aim-at-offshore-trusts-biznews.php","title":{"rendered":"New tax measure takes aim at Offshore Trusts &#8211; BizNews"},"content":{"rendered":"<p><p>    *This content is brought to you by BDO South Africa  <\/p>\n<p>    By     David Warneke*  <\/p>\n<p>    A bombshell hidden in the detail of the 2017 Budget    review relates to the taxation of offshore trusts. It refers to    the 2015 Budget review in which it was announced that measures    would be introduced to the tax treatment of foreign companies    held by interposed trusts. No specific countermeasures were    however introduced and the 2017 Budget review proposes that    such countermeasures be introduced to curb abuses.  <\/p>\n<p>    What appears to be targeted is the fairly common    situation in which an offshore discretionary trust is    established and holds the shares in an offshore company. Most    often, funds are advanced to the offshore trust which    subscribes for shares in the offshore company, or funds are    advanced direct to the offshore company. The offshore company    then invests in foreign shares or other assets. Profits    accruing to the offshore company are effectively converted into    foreign dividends in the hands of the foreign trust, which    escape South African income tax.  <\/p>\n<p>    The 2015 Budget Review stated that consideration would be    given to taxing such foreign companies as controlled foreign    companies (CFCs). However, as mentioned above, no    countermeasures were enacted.  <\/p>\n<p>    The implication of treating such a foreign company as a    CFC would be that a South African resident or residents would    potentially be taxed on the underlying net income of the    foreign company (determined as if the foreign company were a SA    tax resident) in proportion to their participation rights in    the foreign company. If the foreign company had invested in    minor holdings of less than 10% in other foreign companies, for    example foreign listed securities, then the South African    resident would potentially be subject to income tax on    dividends received from such foreign listed securities at a    maximum effective rate of 20% and capital gains tax on the    disposal of such foreign listed securities.  <\/p>\n<p>    The proposal does not specify the circumstances in which    South African residents would be deemed to hold participation    rights in the offshore company so that the CFC rules might    apply. For example, most foreign trust structures are set up    such that the trustees, the majority of whom are foreign    resident, have full discretion with regard to the vesting and    distribution of income and capital. In such a case the deeming    of a South African resident or residents to control the foreign    company represents a legal fiction.  <\/p>\n<\/p>\n<p>    It is unclear whether the proposal is likely to seek to    tax the beneficiaries of such a discretionary trust on a    notional proportion of the net income of the foreign company or    to tax the founder of the trust.  <\/p>\n<p>    However it should be borne in mind that in the majority    of cases, funds are introduced into the foreign trust or    company by way of a loan. Such loan if made between a South    African tax resident and the foreign trust or foreign company    on non-arms length terms and conditions would generally give    rise to the transfer pricing rules in terms of which the loan    is deemed, for fiscal purposes, to be on arms length terms and    conditions. An arms length rate of interest is therefore    deemed to apply to the loan which interest is subject to income    tax in South Africa in the hands of the lender.  <\/p>\n<p>    If an arms length rate of interest on the loan is    subject to income tax in South Africa then hopefully the    proposal would not either not apply or compensation would be    made for the inclusion of the interest in the hands of South    African tax residents.  <\/p>\n<p>    Clarity will be provided when the first draft of the    Taxation Laws Amendment Bill of 2017 is released, most likely    to be in June 2017.  <\/p>\n<p><!-- Auto Generated --><\/p>\n<p>Link:<\/p>\n<p><a target=\"_blank\" rel=\"nofollow\" href=\"https:\/\/www.biznews.com\/budget\/budget-2017\/2017\/02\/24\/new-tax-offshore-trusts\/\" title=\"New tax measure takes aim at Offshore Trusts - BizNews\">New tax measure takes aim at Offshore Trusts - BizNews<\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p> *This content is brought to you by BDO South Africa By David Warneke* A bombshell hidden in the detail of the 2017 Budget review relates to the taxation of offshore trusts. It refers to the 2015 Budget review in which it was announced that measures would be introduced to the tax treatment of foreign companies held by interposed trusts.  <a href=\"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/offshore\/new-tax-measure-takes-aim-at-offshore-trusts-biznews.php\">Continue reading <span class=\"meta-nav\">&rarr;<\/span><\/a><\/p>\n","protected":false},"author":1,"featured_media":0,"comment_status":"closed","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"limit_modified_date":"","last_modified_date":"","_lmt_disableupdate":"","_lmt_disable":"","footnotes":""},"categories":[431655],"tags":[],"class_list":["post-210912","post","type-post","status-publish","format-standard","hentry","category-offshore"],"modified_by":null,"_links":{"self":[{"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/posts\/210912"}],"collection":[{"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/comments?post=210912"}],"version-history":[{"count":0,"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/posts\/210912\/revisions"}],"wp:attachment":[{"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/media?parent=210912"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/categories?post=210912"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.euvolution.com\/futurist-transhuman-news-blog\/wp-json\/wp\/v2\/tags?post=210912"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}