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Federal Public Service Finance UNIQUE TAX INCENTIVES in BELGIUM 2011 Fiscal Department for Foreign Investments Albert WOLFS.

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Presentation on theme: "Federal Public Service Finance UNIQUE TAX INCENTIVES in BELGIUM 2011 Fiscal Department for Foreign Investments Albert WOLFS."— Presentation transcript:

1 Federal Public Service Finance UNIQUE TAX INCENTIVES in BELGIUM 2011 Fiscal Department for Foreign Investments Albert WOLFS

2 Effective (Average) Corporate Tax Rate (ECTR) 2009* Sources : Report 2009, made by ZEW (Centre for European Economic Research) for the EU Commission Project : Taxud/2008/CC/099, Mannheim and Oxford, October 2009 *(based on asset and source of finance) Especially in Belgium, the ECTR is considerably below statutory tax rates (-9,3%) 2

3 Effective (Average) Corporate Tax Rate (ECTR) 2009* Sources : Report 2009, made by ZEW (Centre for European Economic Research) for the EU Commission Project : Taxud/2008/CC/099), Mannheim and Oxford, October 2009 *(based on asset and source of finance) Especially in Belgium, the ECTR is considerably below statutory tax rates (-9,3%) Belgium Italy Germany Netherlands USA France UK Japan 3

4 www.invest.belgium.be 1.Notional Interest Deduction 2.Tax Ruling 3.Unique tax features for R & D 4.Dividend withholding tax exemption 5.Holding regime 6.Expatriate status 7.Other tax incentives INVEST IN BELGIUM

5 What is it?  A notional interest calculated and deducted yearly from the taxable basis  used to off-set operational or financial income (thus lowering effective tax rate) 1.Notional Interest Deduction

6 Who? Companies subjected to -Corporate tax -Non-residents / Corporate Tax 1.Notional Interest Deduction

7 How does it work ? Annual Tax Deduction = EQUITY X RATE (OLO 10 years) 1.Notional Interest Deduction

8 EXAMPLE 1: (Return on Equity: 4%) AssetsLiabilities Group Financing 10,000 Share Capital 10.000 P&L AccountBefore N.I.D.After N.I.D Profit before tax 400 N.I.D. (3,425%)/- 342,5 Taxable 400 57,5 Corporate Tax (33,99 %) 135,96 19,5 Effective Tax Rate 33,99 % 4,89% 1.Notional Interest Deduction

9 EXAMPLE 2: Net Result (Return on Equity) Effective Tax Rate ≤ 3,425 %0 % 4 % (Previous slide)4,89 % 5 %10,71 % 8 %19,44 % AssetsLiabilities Business Assets 10,000 Share Capital 10.000 1.Notional Interest Deduction

10 EXAMPLE 3: (For SME’s) (Return on Equity: 6%) P&L AccountBefore N.I.D.After N.I.D. Profit before tax 600 N.I.D. (3,925%)/- 392,5 Taxable 600 207,5 Corporate tax (24,98%) 149,88 70,53 Effective Tax Rate 24,98 % 11,75 % AssetsLiabilities Business Assets 10,000 Share Capital 10.000 1.Notional Interest Deduction

11 « Qualifying » equity  Equity = total equity as defined under Belgian GAAP (includes retained earnings)  in the opening balance sheet of the taxable period  “adjusted” to avoid double use and abuse. 1.Notional Interest Deduction

12 Interest Rate  RATE = annual average of the monthly published rates of the long term Belgian Government Bonds (10-year OLO)  Fixed yearly for 2011 (Tax Year 2012) :  3,425 % 1.Notional Interest Deduction

13 Interest Rate (for SME’s)  for 2010 (Tax Year 2011) : + 0,5 %  3,925 % 1.Notional Interest Deduction

14 Other particularities  Permanent measure  Carry forward of 7 years  No ruling nor agreement is needed  Suppression of the 0,5% capital duty as of 1/1/2006  EU compliant 1.Notional Interest Deduction

15 OPPORTUNITIES  It’s a valuable tool for further development of Coordination Centre activities  Opens possibilities for international groups of allocating new activities to a Belgian entity such as intra-group financing, central procurement or factoring 1.Notional Interest Deduction THUS: increases attractiveness of Belgium for capital intensive companies, equity funded headquarters and treasury centers.

16 ForeignCo BelCo Bank Loan Capital injection 200 Loan 200Interest 10 Interests received: 10 N.I.D.: -6,85 (200 x 3,425%) Income : 3,15 Corp. tax = 3,15 X 33,99% = 1,07 Effective tax rate : 10,7% 1.Notional Interest Deduction

17 CONFIDENCE  Advanced decisions or ruling is about creating CONFIDENCE to invest in Belgium; CASE BY CASE BASIS  The investor describes the facts, allowing the tax administration to determine, in advance, how the tax laws are to be applied on a CASE BY CASE BASIS  It ensures a LEGALLY BINDING ACCURATE FORECAST of all the tax implications of your investment project 2. Tax Ruling

18 Unlimited application field for ruling:  Transfer pricing  Business Restructuring  Deductible expenses  Financing  Branches  Bonded warehouses, etc.

19 Characteristics of the Belgian ruling  Ruling on all kind of taxes (Corporate, Personal, VAT,..)  Case-by-case ruling in a new open culture  Legal certainty for investors  In accordance with international rules  Open to potential AND existing investors  Legally binding for a 5 year renewable period  Economic “substance” required 2. Tax Ruling

20 Belgian DISTRIBUTION Centre Belgian SERVICES Centre Operational Companies Operational Companies PARENT COMPANY e.g. USA / UK / Japan … * OECD accepted norm: arm’s length standard 2. Tax Ruling Cost plus % case-by-case ruling * + Notional Interest Deduction = double limitation of taxable basis

21 European Distribution Centre Income approved by the ruling Commission (ex. 105% of operational exp.)  mark up 5% on operational expenses Expenses Transport (27.000 €) Warehousing(27.000 €) Staff (46.000 €) Income Interco Reinvoicing European Distribution Centre 100.000 €105 % X 100.000 € = 105.000 € Income 105.000 € Expenses- 100.000 € profit 5.000 € Corporate tax rate 33,99 % Corporate tax 1.700 €

22 European Distribution Centre Income approved by the ruling Commission (ex. 105% of operational exp.)  mark up 5% on operational expenses with N.I.D. (ex: Equity 100.000 €) Expenses Transport (27.000 €) Warehousing(27.000 €) Staff (46.000 €) Income Interco Reinvoicing European Distribution Centre 100.000 €105 % X 100.000 € = 105.000 € Income 105.000 € Expenses - 100.000 € Profit 5.000 € Notional Interest Deduction -3.425 € Taxable basis 1.575 € Corp.tax rate: 33,99 % Corporate tax 535 €

23 1/ Patent income deduction What is it ? Deduction of 80% of the income from patents from the taxable basis, resulting in an effective tax rate of maximum 6,8% on this income Who can benefit ? Belgian companies and Belgian establishments of foreign companies 3.Unique tax features for R & D

24 1/ Patent income deduction Example Patent income: 100 Deduction: (80) Taxable basis: 20 Corporate Tax (33,99%) (6,8) Net income after tax: 93,2  Effective Tax rate: 6,8 % 3.Unique tax features for R & D

25 1/ Patent income deduction Patents concerned  self-developed by a Belgian company or branch in R&D centers (*) in Belgium or abroad;  acquired by a Belgian company or branch provided they are being further developed in R&D centers (*) in Belgium or abroad (by acquisition, or license,…) (*) R&D center must qualify as branch of activity 3.Unique tax features for R & D

26 1/ Patent Income Deduction Calculation of the deduction  For patents that are licensed: 80% of the patent income received, to the extend the income is at arm’s length  For patents that are used in the production process: deemed deduction of 80% of the at arm’s length royalty that would have been received had the patents been licensed to unrelated third parties 3.Unique tax features for R & D

27 1/ Patent Income Deduction  Applies to variable income streams, fixed income streams, as well as upfront fees, milestones, etc.  Other intellectual property rights (copyrights, know-how, designs, trademarks, etc.) do not qualify. 3.Unique tax features for R & D

28 1/ Patent Income Deduction  Anti-abuse provision in order to avoid double deduction of certain costs, in the case of patents acquired by the company;  no carry forward or carry back;  compliant with EU rules;  formalities: an enclosure to join to the tax return;  applicable to new patent income as from Tax Year 2008 (financial year ending on or after December 31, 2007). Particularities 3.Unique tax features for R & D

29 1/ Patent Income Deduction  Very low effective tax rate of maximum 6,8% and absence of any capping rules;  Tax deduction in addition to normal tax-deductibility of R&D related expenses;  Investment deduction for R&D related investments and patents;  Can be combined with Notional Interest Deduction for invested equity, etc. Highly competitive measure 3.Unique tax features for R & D

30 2/ Investment deduction for R&D related investments and patents  Investment deduction for R&D related investments: for assets which aim to promote R&D of new products and advanced technologies which are environment-friendly :  deduction of 13,5% on the investment value (in one shot) or 20,5% on the annual depreciation (spread deduction)  Investment deduction in patents acquired or self-developed by the company  deduction of 13,5% on the investment value NB: In case of insufficient profits, deduction carried forward for an unlimited period. 3.Unique tax features for R & D

31 3/ 75% exemption from withholding tax on the remunerations of researchers, in favour of employers  Principle: the salary withholding tax is normally retained on the remunerations paid to the researcher, but the amount of tax so retained must not be totally paid to the Revenue Collector (= extra financial means for the employer)  For researchers with a specific degree, engaged in R&D program 3.Unique tax features for R & D

32 INVEST IN BELGIUM – increase your profits Example Manufacturing company with a R&D division:  Share capital: 10.000 (of which 2.000 = contributed patent value)  Return on equity: 12%  Net profit: 1200 (of which 300 = patent income ; 900 = product revenue) To deduct  Invest. ded. on patents:13,5% x 2.000 = 270  Patent Income Ded.:80% x 300 = 240  N.I.D. 3,425% x 10.000 =342  Taxable basis: 348  Corporate Tax: (348 x 33,99%) = 118,28  Effective tax rate: 9,85%

33 4. Dividend withholding tax exemption Conditions to benefit  be resident in a country with which Belgium has concluded a double tax treaty;  the beneficiary holds a participation of at least 10% in a Belgian subsidiary, for an uninterrupted period of at least 12 months = low participation threshold;

34 4. Dividend withholding tax exemption Parent company (treaty partner of Belgium) Belgian Subsidiary No WHT No LOB 10% shareholding 12 months

35  Participation exemption  dividends received : deduction of 95%  Deductibility of interest paid to acquire shares  No capital duty  Exemption of realized capital gains on shares 5. Holding regime

36  For foreign executives and managers temporarily detached in Belgium :  Tax free expatriate allowance (cost of living, cost of housing, tax equalization)  operational entity: 11.250 € / an  HQ or R&D centre:29.750 € / an  Reimbursement of mainly non-repetitive expenses (installation costs, moving expenses, school fees)  unlimited amount tax free  « Travel exclusion »: workdays performed outside Belgium  tax free in Belgium 6. Expatriate status

37  For employers:  No tax, no social security contributions on expatriate allowances and reimbursement of expenses  Deductible from Corporate tax

38  VAT fiscal unity  Bonded warehouses and VAT deferal  European pension funds  Tax shelter for audiovisual sector  Etc.,… 7. Other incentives

39 Federal Public Service Finance Fiscal Department for Foreign Investments Rue de la Loi, 24 (Parliament Corner) 1000 Brussels - BELGIUM Albert WOLFS Email: albert.wolfs@minfin.fed.bealbert.wolfs@minfin.fed.be Tel.: +32 257 938 67 Fax: +32 257 951 12 Need to know more ? INVEST IN BELGIUM – increase your profits


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