Pictured: Kari Campbell
The UK is again becoming a more desirable place for
multi-nationals to base their holding companies, according to a
Birmingham-based expert.
Kari Campbell, international tax partner with BTG Tax, part of
the Begbies Traynor group, said it came in the wake of recent
Government cuts in corporation tax.
It follows controversy under the previous administration when a
trickle of leading Stock Market quoted plcs moved out citing tax
reasons.
"Due to recent legislative changes, the UK is becoming a more
attractive holding company location," noted Ms Campbell. "The main
hook is the intention to reduce the rate of corporation tax from
the current rate of 26 per cent to 23 per cent by 2014.
"This rate is still significantly higher than more common
holding structure locations, such as Ireland (12.5 per cent), but
the UK also has a dividend exemption, corporate capital gains
exemption, branch exemption and no withholding tax on dividend
distributions.
"This is certainly encouraging companies to look at the UK as an
impressive holding company location."
She said the intended favourable tax treatment for income from
patents - to be taxed at only ten per cent from April 2013 - would
also produce a greater pull to UK shores.
"In addition to all this the UK has the largest tax treaty
network in the world - covering over 100 countries - reducing or
eliminating withholding taxes for most jurisdictions.
"A major disadvantage with the UK regime has been the strict
Controlled Foreign Company (CFC) rules. For instance, the
traditional route to the EU from the US has been through a UK
holding company. However, the restrictive tax rules on CFCs have
made businesses think twice, making it difficult for UK groups to
circulate capital around their foreign subsidiaries without
creating tax charges.
"However, the Government is committed to making a full reform of
the CFC rules, though this will not take place until 2012.
"One of the proposals is that it will be possible to enjoy a low
tax rate of 5.75 per cent on intra-group funding without having to
engage in complex structuring. This is an extremely attractive rate
of tax and allows the multinational company to benefit from a low
tax regime and only pay a small amount of UK top-up tax.
"Furthermore, there are proposals to exempt profits from foreign
intellectual property to ensure that they are not brought within
the UK tax net. This would allow a multinational group to hold
intellectual property in a low tax regime without incurring a UK
tax charge.
"These two proposals are particularly generous and have been set
up to put the UK firmly back on the map in terms of an attractive
holding company location.
"These changes are welcome. It is clear to see that the
Government is making a concerted effort to ensure that the UK is a
competitive tax regime for inward investment and it is even
rumoured that some large companies that have previously left the UK
are considering coming back."
However, further simplification was required so multinationals
could more easily assess whether they were caught by the CFC rules
or not.
For more information about BTG Tax, please visit their website
here: www.btg-tax.com