belgium budget 2012
DESCRIPTION
The measures and possible impact of the Belgium budget 2012.TRANSCRIPT
Belgium - Budget 2012
Overview of Tax Measures
Belgian budget 2012 – overview of tax measures Page 2
Agenda
► Introduction
► Corporate tax measures
► Taxation of company cars
► Personal income tax measures
► Pension taxation
► Withholding tax measures
► Tax on the conversion of bearer financial instruments
► Combat of tax fraud
► Miscellaneous
Belgian budget 2012 – overview of tax measures Page 3
Introduction
► Government Di Rupo I: budgetary exercise of EUR 11.3
billion covering savings and additional income
► Hypothesis: economic growth of 0.8%
► Projected growth reduced to 0.5% (ECB, NBB/BNB) or less (Luc
Coene) – need for additional EUR 1 to 2 billion
► Partially rejected by EU Commission (NID/WHT)
► Budget plan partially put into legislation
► Submission via amendments by Members of Parliament
► Second bill of program law probably to be submitted in
January 2012 for remaining measures
► New budget round in March 2012
Belgian budget 2012 – overview of tax measures Page 4
Introduction
► Tax measures: impact in 2012 (EUR 3,449 mio)
► Related measures (combat fraud, …): EUR 3,220 mio (2012-2014)
EUR (in mio) Percentage
Notional interest deduction 1,620 + 45.6%
Taxation of capital gains on shares 150 + 4.2%
Company car taxation 200 + 5.7%
Externalization pension provisions 30 + 0.8%
Stock options 20 + 0.5%
Benefit in kind housing, etc. 170 + 4.8%
WHT increase and solidarity levy 917 + 26.0%
Stock exchange tax 50 + 1.4%
VAT pay-TV 84 + 2.4%
VAT notaries and bailiffs 100 + 2.8%
Excises 158 + 4.5%
Belgian budget 2012 – overview of tax measures Page 5
Corporate tax – Notional interest deduction (old)
► Deemed deduction on qualifying Belgian GAAP equity
(reduced with items such as financial fixed assets &
foreign branch-income, ...)
► Deduction linked to 10 year OLO but capped to 3.8 % for
tax years 2011 and 2012
► Tax year 2012: 3.425 % (3.925 % for SMEs)
► Full carry-forward but limited to seven years
Belgian budget 2012 – overview of tax measures Page 6
Corporate tax – Notional interest deduction (old)
► Mostly used by
► Former BCCs
► Belgian groups
► German, French, Dutch, Scandinavian groups
► Existing (not new) US companies
► Cannot be used against abnormal or benevolent income
Belgian budget 2012 – overview of tax measures Page 7
Corporate tax – Notional interest deduction (old)
► Tax year 2010: NID used = 16,3 bio (PV-QP 25/07/2011)
► Tax year 2010: NID carry-forward = 12.6 bio
► Estimated NID equity 2010: + 330 Bio (applying 4.973%)
► Unique measure? No! Netherlands, Luxembourg, Switzerland
have quasi-similar measures
► Also other financing regimes and alternatives (EU & non-EU)
Belgian budget 2012 – overview of tax measures Page 8
Corporate tax – Notional interest deduction (old)
Strategy
► Deduction of deemed interest on equity
Tax Analysis – Belgium
► No capital duties in Belgium
► Interest income is taxable at 33.99% but the Belgian ETR
(effective tax rate) is reduced by:
– NID – FY 12.31.2011: 3.425% on qualifying risk
capital significantly reduces ETR.
– ETR depends on incoming interest rate
– Foreign tax credit for IWHT available
► Domestic WHT exemption for dividends to treaty parents
► Access to large treaty network and EU legislation to tackle
IWHT
► Withstands foreign CFC legislation (substance related)
► Considered EU state-aid compliant
► NID is automatically applicable (no ruling required; easy
and straight-forward; no beneficial ownership issues)
► Existing Belgian BCC company can be used
► With new US treaty’s LOB provisions ideal to finance US
operations for Belgian & EU groups
► APA can be obtained from the Belgian ruling commission
Loan
- + -
NID and foreign tax credit
( Interest
Interest
Loan
) -
Parent
(Foreign) Op Co
Belgian NID Co
Belgian budget 2012 – overview of tax measures Page 9
Corporate tax – Notional interest deduction
► Adopted (applicable as from TY 2013)
► NID rate
► Still based on 10 year OLO but reduction of cap to 3% (3.5% for SME)
► Average 10-year bond rate 2011: 4.191%
► Budget note: reduction of cap to 3% for period 2012-2014 - as from
2015: NID rate will be determined by law
► Budgetary impact (together with measures regarding carry-forward):
EUR 1,620 mio (+ 45.6% of the tax measures)
► Dropped from the earlier note Di Rupo: no exclusion of mandatory
equity from NID basis (minimum capital and legal reserves)
Belgian budget 2012 – overview of tax measures Page 10
Corporate tax – Notional interest deduction
► Modification still in the pipeline
► Abolishment of NID carry-forward for future excess NID!!!
► Limitation of deduction of existing stock excess NID
► Last operation of the tax return/calculation (after deduction of tax
losses and before application of the tax rate)
► Maximum deduction: 60% of residual taxable base
► No limitation for first mio EUR
► Carry-forward for excess to next taxable period (+1)
► Carry-forward expected to be limited to seven years (exception: period
of limitation is extended when excess NID is unused due to 60%
limitation)
► Problem when large tax loss carry-forward?
► ETR upon use is > 13%, effect on deferred tax assets?
Belgian budget 2012 – overview of tax measures Page 11
Corporate tax - Notional interest deduction Example - Existing NID carry-forward
Tax year Excess
NID
Expire
date
Balance Extended
expire date
Losses
NID
2007 1,000 2014 0 N/A 300
2008 1,200 2015 1,200 N/A 0
2009 900 2016 900 N/A 0
2010 1,100 2017 1,100 N/A 0
2011 800 2018 800 N/A 0
Total 5,000 4,000 300
Tax year 2014 EUR
Taxable basis before deduction of excess NID 700
NID carried forward – 2007 -700
Taxable basis after deduction of excess NID 0
Belgian budget 2012 – overview of tax measures Page 12
Corporate tax - Notional interest deduction Example - Existing NID carry-forward (cont’d)
Tax year Excess
NID
Expire
date
Balance Extended
expire date
Losses
NID
2007 0 2014 0 N/A 300
2008 1,200 2015 120 2016 0
2009 900 2016 900 N/A 0
2010 1,100 2017 1,100 N/A 0
2011 800 2018 800 N/A 0
Total 4,000 2,820 300
Tax year 2015 EUR
Taxable basis before deduction of excess NID 1,300
NID carried forward – 2007 0
NID carried forward – 2008 -1,180
(1,000 + 60% of 300)
Taxable basis after deduction of excess NID 120
Belgian budget 2012 – overview of tax measures Page 13
Corporate tax - Notional interest deduction Example - Existing NID carry-forward (cont’d) Tax year Excess NID Expire date Balance Extended
expire date
Losses NID
2007 0 2014 0 N/A 300
2008 120 2015 0 2016 0
2009 900 2016 8 2017 0
2010 1,100 2017 1,000 N/A 0
2011 800 2018 800 N/A 0
Total 3,300 2,800 300
Tax year 2016 EUR
Taxable basis before deduction of excess NID 1,020
NID carried forward – 2008 -120
NID carried forward – 2009 -892
Taxable basis after deduction of excess NID 8
(40% of 20)
Belgian budget 2012 – overview of tax measures Page 14
Corporate tax – Notional interest deduction
► Action points / points of attention
► Check your stock of excess NID and projected profits to verify
whether action needs to be undertaken to accelerate the use of
excess NID
► Review your treasury policy and forecast taxable spread
► Consider possible impact on the deferred tax assets (e.g. valuation
allowance)
► Limit percentage to 3%, only short-term funding
► Consider finance alternatives (or second treasury center)
Belgian budget 2012 – overview of tax measures Page 15
Corporate tax – Thin capitalization (general)
► In many countries to prevent tax avoidance by excessive
leveraging
► Reduction of possibility to deduct interest for tax purposes
► Thin Cap limitations depend on debt/equity, cash-flow,
Ebitda, possibility of debt recharacterization or a
combination thereof
► Some Thin Cap apply to all debt, some to related party
debt only
► Intercompany debt has many definitions, so does equity
Belgian budget 2012 – overview of tax measures Page 16
Corporate tax – Thin capitalization (current regime)
► Two Thin Cap rules in Belgium: 7:1 and 1:1
► Current legislation: specific 7:1 Thin Cap applies where
the beneficial owner of the interest is a person that is not
subject to tax or if the income is subject to a tax regime
that is significantly more advantageous compared to the
Belgian tax regime
Belgian budget 2012 – overview of tax measures Page 17
Corporate tax – Thin capitalization (new regime)
► Modification still in the pipeline
► No longer limited to interest paid to beneficial owner who is not
subject to income tax or who is subject to a far more beneficial
regime for interest income
► Change of thin cap ratio from 7:1 now to 5:1
► Only for intra-group loans
► Definition of group in accordance with BCC rules
► Condition for BCC regime purposes
► Companies under central management as a result of participations
► Participation (direct or indirect) at least 20% in share capital or voting rights
► Estimated budgetary impact EUR 100 mio (part of combat of fraud
and correct application of the law)
► Thin Cap is more restrictive in other EU and OECD countries, e.g.
Germany, France, US, China, the Netherlands, France
Belgian budget 2012 – overview of tax measures Page 18
Corporate tax – Thin capitalization (new regime)
► In the „annex to the budget‟ it is mentioned that
► Leverage is best combined with NID that will going forward not be
higher than 3%
► There is an indication that now NID is changed, many large
companies have the intention to put up constructions with low
capitalisation
► The example of a PPL is given with a „picture‟ ..., yet all PPL were
ruled by the tax authorities, providing legal certainty
Belgian budget 2012 – overview of tax measures Page 19
Corporate tax – Thin capitalization (new regime) - Hybrid loan/security – PPL (annex)
PPL - Hybrid
► The use of a hybrid financing instrument creates a tax deduction in the
debtor’s country as the instrument qualifies as debt, while it results in
tax-exempt income in the recipient country, where the instrument
qualifies as equity
► Intermediate country (debtor of hybrid instrument) on lends the funds
realizing a taxable spread
Tax Analysis – Luxembourg/Netherlands
► No income pick-up at level Lux /Dutch Co (“equity characterization” )
► Lux / Dutch DWHT exemption / reduction based on domestic law
Tax Analysis – Netherlands
► Hybrid loan considered equity from a Dutch / Lux tax perspective,
► Interest income on hybrid loan should be treated as dividend for Dutch
/ Lux tax purposes and should therefore be exempt under participation
exemption rules
Tax Analysis – Belgium
► Interest deduction at level Bel Co (debt characterization of profit
participating loan or security)
► No Belgian IWHT on payments to Lux / Dutch Co
► A small at arm’s length taxable spread required at level Belco
► Broad Treaty Network
On the basis of a Belgian / Luxembourg / Dutch ruling with full
transparency
EU context?
Loan
Subscription
to PPL/PPS
Interest
Dividend
Parent
LuxCo
NL
Belgium
(former NID co)
OpCo
Belgian budget 2012 – overview of tax measures Page 20
Corporate tax – Thin capitalization (new regime)
► Open questions - what about
► The definition of (net) equity (Tax Equity or Belgian GAAP)?
► EU context ? Lankhorst -Hohorst?
► Net debt (financial institutions, treasury and securitisation
entities)?
► Debt guaranteed by group-companies?
► Factoring? Renting? FX intercompany loans that are potentially
swapped?
► Financial Fixed Assets or other shares qualifying for the dividend
received deduction?
► “5” – only loans where interest is non-taxable or tax exempt at the
level of the beneficiary?
Belgian budget 2012 – overview of tax measures Page 21
Corporate tax – Thin capitalization
► Action points / points of attention
► Check your qualifying debt/equity ratio to verify whether equity
needs to be reinforced
► Consider an equity increase, if required, e.g. by contribution
shares into share capital
► Consider restructuring intercompany leveraging if funding is
provided by a related entity not subject to tax on the interest
income
► The exact situations in which the 5:1 would apply are not yet
known but it will likely be a “soft” measure
Belgian budget 2012 – overview of tax measures Page 22
Corporate tax – Notional interest deduction – PPL – Effective Tax Rate (ETR)
2,00% 2,50% 3,00% 3,50% 4,00% 4,50% 5,00% 5,50% 6,00%
ETR -17,0% -6,8% 0,0% 4,9% 8,5% 11,3% 13,6% 15,5% 17,0%
ETR 0,98% 1,19% 1,33% 1,43% 1,51% 1,57% 1,62% 1,65% 1,69%
ETR -1,06% 0,28% 1,18% 1,82% 2,30% 2,68% 2,98% 3,22% 3,42%
-20,0%
-15,0%
-10,0%
-5,0%
0,0%
5,0%
10,0%
15,0%
20,0%
ET
R
NID - capped NID rate of 3% PPL 1 – 6% equity – 94% PPL PPL 2 – debt/equity ratio of 5-to-1
Finco ETR overview
Intercompany Financing Rates
NID
PPL 2
PPL 1
Belgian budget 2012 – overview of tax measures Page 23
Corporate tax – Notional interest deduction – PPL – Future?
► NID may under circumstances still be attractive for „low
yield‟ financing, that is for short-term € or USD funding,
cash-pooling, factoring or sub-financing of a main group
treasury center …
► Possibly some „budget-savings‟ as existing „NID built up‟
will likely be spread out over a much longer period, but far
from certain
► Intercompany loan conditions are best set to match 3%
cap – no longer NID carry-forward
Belgian budget 2012 – overview of tax measures Page 24
Corporate tax – Notional interest deduction – PPL – Future?
► PPL could possibly still be attractive
► Especially for higher yield financing (> 3%)
► Even after introduction of the proposed 5:1 debt/equity ratio
► But potentially the „new general anti-abuse‟ article could affect
PPLs
► Recently, the ruling commission has put these structures on hold
(awaiting the modification of the Thin Cap rule and the general
anti-abuse provision (Art. 344, §1 ITC))
► What happens with existing rulings?
► Belgian & foreign groups with Belgian treasury centers
might consider other EU-OECD alternatives
Belgian budget 2012 – overview of tax measures Page 25
Corporate tax – Capital gain on shares
► Modification still in the pipeline
► Taxation at 25% of capital gains on shares held for less than one
year (exception to principle of tax exemption of capital gains)
► Capital losses remain non-deductible
► Potential exception for trading and investment companies as
securities are considered stock?
► Action points / points of attention
► Structure your shareholding to meet the one year period
► Consider other (sub)holding structure for short-term investments
► Consider fixing the book value at current fair market value
Belgian budget 2012 – overview of tax measures Page 26
Corporate and personal income tax Company cars
► Adopted (applicable as from 1 January 2012)
► Change to the calculation formula for benefits in kind (BIK) for
company cars
► Limitation to deduction of lump sum commuting cost
► Additional disallowed item related to company car costs
Belgian budget 2012 – overview of tax measures Page 27
► Change to the calculation formula for BIK company cars
► Car list price: amount invoiced, including VAT and options, but
excluding rebates and discounts
► Amount invoiced: also for second hand cars and leased cars
► Leased cars: amount invoiced, including price of the option to buy
► Private kilometers are not relevant anymore
Corporate and personal income tax Company cars
BIK = car‟s list price x CO2 coefficient x 6/7
Belgian budget 2012 – overview of tax measures Page 28
Corporate and personal income tax Company cars
► Change to the calculation formula for BIK company cars
(cont‟d)
► CO2 coefficient
► Basic coefficient
► 5.5% for emission
► 95 g/km (diesel engine)
► 115 g/km (fuel engine)
► Higher CO2 emission levels
► Increase with 0.1% per gram (maximum coefficient: 18%)
► Lower CO2 emission levels
► Decrease with 0.1% per gram (minimum coefficient: 4%)
► Minimum amount BIK
► EUR 1,200 (2012 – tax year 2013)
► Formula will be reviewed annually to take into account the
evolution of the CO2 emission levels
Belgian budget 2012 – overview of tax measures Page 29
Car type Current BIK
(7,500 km)
BIK new regime
Audi A6 3,0 TDI EUR 2,397.75 *EUR 3,640.37
BMW X5 xDrive30D 245 EUR 3,363.75 EUR 7,380.21
Mercedes-Benz CLS 350 CDI I EUR 2,742.75 EUR 7,254.85
Mini One D EUR 1,707.75 **EUR 1,200.00
* See below
** Minimum BIK
► Example: Audi A6 Diesel
► List price: EUR 42,900
► CO2 level: 139 g/km
► CO2 coefficient: 5.5% + 4.4% = 9.9%
► List price x CO2 coefficient x 6/7 = EUR 3,640.37
Corporate and personal income tax Company cars
Belgian budget 2012 – overview of tax measures Page 30
BIK 2011 BIK 2012 % 2011 2012
Amortization (14,225.20
EUR/Y)
30% 4,267.50 4,267.50
Benefit in kind 2,742.75 7,254.85
- Fuel (30%) 822.82 2,176.45 25% - 205.70 - 544.11
- Other car expenses (70%) 1,919.93 5,078.40 30% - 575.98 - 1,523.52
Disallowed expense 3,485.82 2,199.87
Additional disall. exp. (17%) 1,233.32
Total non deductible 3,485.82 3,433.19
► Example: Mercedes CLS 350 CDI I
► List price: EUR 71,126 (amortization in five years)
► CO2 level: 159 g/km
► CO2 coefficient: 5.5% + 6.4% = 11.9%
► List price x CO2 coefficient x 6/7 = EUR 7,254.85
Corporate and personal income tax Company cars
Belgian budget 2012 – overview of tax measures Page 31
Corporate and personal income tax Company cars
► Limitation of deduction of lump sum commuting cost of
EUR 0.15 per km to taxable benefit in kind
► Previously based on the administrative commentary
► Disallowed item company car costs (corporate tax)
► 17% of benefit in kind (car‟s list price x CO2 coefficient x 6/7)
► Disallowed item is minimum taxable base
► No tax deductions : DRD, NID, tax losses, investment deduction, …
Belgian budget 2012 – overview of tax measures Page 32
Corporate and personal income tax – Company cars
► Action points / points of attention
► Review your car fleet – consider alternatives
► Reconsider the remuneration package of employees/directors
involved (e.g. minimum salary threshold to benefit from the
corporate income tax rate for SME)
► Consider having the lease taken on by the employee, reimbursing
the employee for the lease and reimburse the professional mileage
of the employee (if the amount is considerable) instead of
providing free use of a company car
► Compare effect on BIK with calculation tool on our website
(http://www.ey.com/BE/en/Services/Tax/Calculate_new)
Belgian budget 2012 – overview of tax measures Page 33
VAT – BIK – Comparison “old” and “new”
75
%
45
,
2
45
,
2
25
%
50
%
VAT
deduction
limits
“Old”
Always 50%
limitation +
Payment of VAT
based on BIK
Company use
Belgian budget 2012 – overview of tax measures Page 34
VAT – BIK – Comparison “old” and “new”
75
%
45
,
2
25
%
50
%
VAT
deduction
limits
“New”
50%
limitation
Company use
New
limitation
Belgian budget 2012 – overview of tax measures Page 35
VAT – BIK – Where are we?
► Company cars
► 2011: “tolerance” to use old calculation methods
► No payment of VAT on BIK if company use equals or exceeds 50%
► 2012: decision would remain but with calculation per company
instead of per car
► No decision taken yet
► Immovable property (pm): decision remains in force
► Also for 2011
► Quid other BIK?
Belgian budget 2012 – overview of tax measures Page 36
VAT – BIK company cars – Action points
► No certainty at this stage which system will be applied to
calculate the VAT deduction for company cars
► Action required by companies once a final decision is
published by the VAT authorities
► Decide to comply or not with calculation methods proposed by the
VAT authorities (most probably fixed per company)
► Comparison with actual situation (work-home distances, different
categories of employees, amount of costs involved, possible VAT
impact, etc.)
► Abandon 50% deduction (downwards – upwards)?
► VAT calculation for the past
► VAT calculation for 2011: pay VAT on BIK or (only) limit VAT
deduction to 50%?
► Revise previously taken positions?
Belgian budget 2012 – overview of tax measures Page 37
Personal income tax – Stock options
► Adopted (applicable as from 1 January 2012)
► Increase of benefit in kind from 15% to 18% of the value of the
underlying shares
► Increase of reduced benefit in kind from 7.5% to 9% of the value of
the underlying shares
► Applicable to stock options offered as from 1 January 2012
► Reference point is date of offer (text of the law: “offertes /
aangeboden”), not date of grant (text of justification to the amendment:
“toegekend / attribuées”)
Belgian budget 2012 – overview of tax measures Page 38
Personal income tax – BIK housing/utilities
► Modification still in the pipeline
► Increase of the BIK for heating from EUR 1,480 to EUR 1,820
► Increase of the BIK for electricity from EUR 740 to EUR 910
► Increase of the BIK for free housing for house with a notional
income exceeding EUR 745
► Currently: 100/60 x notional income x 2
► 2012 : 100/60 x notional income x 3.8
► Amounts to be subject to indexation annually
► Action points / points of attention
► Reconsider the remuneration package of employees/directors
involved (e.g. minimum salary threshold to benefit from the
corporate income tax rate for SME)
Belgian budget 2012 – overview of tax measures Page 39
Personal income tax – Tax deductions
► Adopted (applicable as from TY 2013)
► Abolishment of tax reductions for ecological investments (solar
panels, …), except for investments in isolation of roofs
► Modification still in the pipeline
► Conversion of deductions into tax reduction at 45%
► Deduction for only own dwelling, deduction for child care expenses
and gifts
► Exception: alimony payments remain tax deduction
► Other tax reductions (life insurance, own dwelling taxation (old
regime), etc.): tax reduction at 30% instead of tax reduction at
adjusted average tax rate (between 30% and 40%)
Belgian budget 2012 – overview of tax measures Page 40
Corporate and personal income tax Pensions
► Modification still in the pipeline
► Personal income tax
► Modification of tax treatment of pension payments
► Modification of tax treatment of personal pension contributions
(2nd and 3rd pillar)
► Corporate income tax
► Mandatory externalization of pension provisions
► Modification of the 80% rule
Belgian budget 2012 – overview of tax measures Page 41
Personal income tax - Pensions
► Still in the pipeline: modification of treatment of payments
and contributions
► Pension payments (second pillar): increase of tax rate on
payments (part relating to employer contributions)
► Current situation
► Payment at ages 60 to 64: 16.5%
► Payment at age 65: 10%
► New situation
► Payment at age 60: 20%
► Payment at age 61: 18%
► Payment at age 62 to 64: 16.5%
► Payment at age 65: 10%
Belgian budget 2012 – overview of tax measures Page 42
Personal income tax - Pensions
► Still in the pipeline: modification of treatment of payments
and contributions (cont‟d)
► Personal pension contributions (second and third pillar)
► Current situation: tax reduction at adjusted average tax rate (between
30% and 40%)
► New situation: tax reduction at 30%
► Actions points / points of attention
► Postpone your pension payment to age 65 (tax at 10%) or ages
62-64 (tax at 16.5%)
► Alternatively: organize your pension payment before entry into
force for taxpayers at age 60 or 61 (if possible, depending on date
of entry into application)
Belgian budget 2012 – overview of tax measures Page 43
Corporate income tax - Pensions
► Modification still in the pipeline: mandatory externalization
of individual pension promises (financing via internal
provisions is no longer allowed)
► Existing internal provisions: externalization within three years
► Insurance premium tax
► 4.4% on new insurances
► 1.75% insurance tax in case of externalization of internal pension
provisions
Belgian budget 2012 – overview of tax measures Page 44
Corporate income tax - Pensions
► Modification still in the pipeline: adaptation of 80%-rule
► Limitation of deductibility of complementary pension contributions
based on amount of pension payment upon retirement
► Currently: cap of 80% of last annual gross salary
► Introduction of an additional cap: pension of the highest public official
(gross EUR 72,480.72 per year or EUR 6,040.06 per month)
Belgian budget 2012 – overview of tax measures Page 45
Corporate and personal income tax Pensions
► Action points / points of attention
► Provide for the necessary funds for externalization
► Revise pension plans to meet the adapted 80% limitation
► Consider reducing your 'periodic income' required to meet the former
80% reduction, considering the lower maximum cap that applies going
forward
► Consider the possibility for back-service individual pension
promises for tax year 2012 (depending on date of entry into
application of new rules)
► Consider potential consequences as regards transition from the
old to the new regimes, taking into account built-up reserves (to be
analyzed under the new law)
Belgian budget 2012 – overview of tax measures Page 46
Withholding tax
► Adopted (applicable to payments as from 1 January 2012)
► Increase of WHT rate on interest and reduced WHT rate on
dividends
► Introduction of a solidarity levy
► Introduction of novel reporting requirements for withholding agents
Belgian budget 2012 – overview of tax measures Page 47
Withholding tax
► Increase of WHT rate for interest and reduced dividends
to 21%
► Exceptions
► Interest on qualifying savings accounts: 15% on interest exceeding
the exempt amount (EUR 1,830 for 2012)
► Interest on debt instruments issued prior to 1 March 1990: 25%
► Royalties: 15%
► Liquidation boni: 10% (other than boni paid by EU passported
funds that are invested for more than 40% in debt claims: 21%)
► Share buy-back boni: 21% (0% for share buy-backs executed
through the stock exchange (cf. 264bis ITC) or done by corporate
funds (cf. art.21, 2° ITC) (0% WHT) that are not EU passported
funds that are invested for more than 40% in debt claims (21%
WHT)
Belgian budget 2012 – overview of tax measures Page 48
Withholding tax
► Increase of WHT rate for interest and reduced dividends
to 21%
► Exceptions
► Distributions by non-Belgian funds organized as a co-ownership
pool of assets (cf. FCP/GBF) that have not provided a breakdown
in accordance with article 321bis ITC: 25%
► Dividends distributed by residential REITS: 0%
► Dividends other than
► Dividends distributed on VVPR shares
► Dividends distributed by Belgian corporate investment funds: 25 %
Belgian budget 2012 – overview of tax measures Page 49
Withholding tax
► Increase of WHT rate for interest and reduced dividends
to 21%
► Exceptions
► Interest on government debt securities issued and underwritten
between 24 November 2011 and 2 December 2011: 15% (cf. art.
534 ITC)
► Doubts regarding compatibility with principle of non-discrimination and
EU free movement of capital
► Finance Minister: no problem since not limited to Belgian state bonds
Belgian budget 2012 – overview of tax measures Page 50
Withholding tax
► Extra solidarity levy
► Extra levy of 4% (no municipality surcharge)
► Application, at the option of the beneficiary
► At source (standard); or
► Through assessment (optional) via reporting to the National Bank at
the request of the beneficiary
► Application at source
► 4% on the amount exceeding EUR 20,020
► Applicable to the net amount of interest and dividends exceeding
EUR 20,020 (in 2012), excluding
► Dividends and interest payments subject to the 10 or 25% rate of WHT
► Interest paid on government debt securities issued and underwritten
between 24 November 2011 and 2 December 2011; and
► Interest from qualifying savings accounts
Belgian budget 2012 – overview of tax measures Page 51
Withholding tax
► Extra solidarity levy ► What about interest and dividends subject to 0% withholding?
► Income contemplated by article 21 (liquidation and share buy-back boni paid by corporate funds and certain income from life insurances) are items carved-out from article 17 and should therefore not be subject to the levy
► Interest and dividend income otherwise exempt from withholding tax /solidarity levy (e.g. dividends paid by a residential REIT or boni on share buy-backs executed through the stock exchange) is not explicitly excluded but the exclusion could be defended on the basis of the new Article 174/1, §3 ITC (“The provisions of Title VI in relation to withholding tax are applicable to the solidarity level except when provided otherwise”)
► Title VI contains the domestic exemptions from WHT and constitutes the legal basis of the exemptions laid down in the RD ITC
► It would have been clearer to specifically refer to exempt interest and dividend income in the definition of the scope of the solidarity levy
Belgian budget 2012 – overview of tax measures Page 52
Withholding tax
► Extra solidarity levy
► Computation of the EUR 20,020 threshold
► For the computation of the threshold account must be taken of all
interest and dividend income obtained by the taxpayer with the
exception of
► Liquidation boni contemplated by article 171, 2°, f)
► Interest paid on government debt securities issued and underwritten
between 24 November 2011 and 2 December 2011
► Interest and dividends contemplated by article 21 ITC
► The threshold has to be assessed on an annual basis
► In case the threshold is exceeded, one must first set-off the
interest and dividends that have not been subject to the 4% levy
Belgian budget 2012 – overview of tax measures Page 53
Withholding tax
► Extra solidarity levy of 4%
Threshold Basis
Interest 25% X
Dividends 25% X
Interest 21% (I)
Dividends 21% (D)
Tax-exempt interest from
savings accounts
X X
Liquidation boni X X
4% on I + D for
amount exceeding
threshold
Due if
sum >
20,020 €
Belgian budget 2012 – overview of tax measures Page 54
Withholding tax
► Extra solidarity levy (cont‟d)
► Obligations imposed on withholding agent: i.e.
► The issuer in the case of Belgian sourced income with the exception of
securities held in the X/N system for which the BNB is the WHT agent
► First intermediary or subsequent financial institution in case of
application of art. 261, 2°, b) ITC, for foreign sourced income
► In the case of Belgian securities, this is bound to create problems as
► Issuer does not know identity of beneficiary
► How can beneficiary exercise option for the 4% at source
► How can the issuer/BNB satisfy its reporting obligations vis-à-vis the
NBB?
► Financial intermediary may need to withhold and report on behalf of the
WH agent or alternatively, issuer may want to apply 4% by default to avoid
reporting
Belgian budget 2012 – overview of tax measures Page 55
Withholding tax
► Extra solidarity levy (cont‟d)
► Reporting to the National Bank
► No reporting requirement for interest/dividends on which the solidarity
levy was applied
► No reporting required of liquidation boni contemplated by art.171, 2°, f)
ITC and interest paid on government debt securities issued and
underwritten between 24 November 2011 and 2 December 2011 and
of interest and dividend income exempt pursuant to article 21 ITC
► Reporting is only required with a view to the application of the solidarity
levy and these income items count for the threshold computation
► All other interest and dividend income contemplated by article 17, §1,
1° and 2° as well as the identification data of the recipients of the
income must be reported (e.g. dividends paid by a residential REIT or
boni related to share buy-backs performed on a stock exchange
which, for the boni, seems impossible)
Belgian budget 2012 – overview of tax measures Page 56
Withholding tax
► Extra solidarity levy (cont‟d)
► Reporting by the National Bank to the tax authorities
► Communication to the tax authorities at their request only (for example
when the taxpayer requests a refund of 4% levy)
► Automatic communication to the tax authorities if more than
EUR 20,020 reported to the National Bank
► Practical aspects to be laid down in a Royal Decree
Belgian budget 2012 – overview of tax measures Page 57
Withholding tax – Example (1)
► Tax assessment relating to 2012
► The taxpayer received
► Interest on qualifying savings accounts (WHT exemption of EUR 1,830
for 2012)
► Other interest subject to 21% WHT
► The taxpayer did not request the application of the 4% levy at
source
Case Exempt WHT of 15% WHT of 21% 4% levy on
1. EUR 1,830 EUR 1,000 EUR 13,000 0
2. EUR 1,830 EUR 6,000 EUR 15,000 EUR 980
3. EUR 1,830 EUR 1,000 EUR 18,000 0
4. EUR 1,830 EUR 21,000 EUR 3,000 EUR 3,000
Belgian budget 2012 – overview of tax measures Page 58
Withholding tax – Example (2)
Income Taxable basis WHT rate Increased
WHT?
Amount
Interest on
qualifying
savings account
EUR 8,170
(EUR 10,000 -
exemption of
first bracket of
currently
EUR 1,830)
15% N/A EUR 1,225.50
Other interest
and dividend
reduced WHT
EUR 20,000
interest and
EUR 30,000
dividends
21% 4% on amount
exceeding EUR
20,020
EUR 11,699.20
(currently
EUR 7,500)
Other dividends EUR 40,000 25% N/A EUR 10,000
Total EUR 98,170 EUR 22,924.70
(currently
EUR 18,725.50)
Belgian budget 2012 – overview of tax measures Page 59
Withholding tax
► Ernst & Young point of view
► The rules on the solidarity levy constitute a hidden 25% WHT,
especially for investors aiming to preserve anonymity
► The rules on the solidarity levy establish a de facto
“vermogenskadaster / cadastre des patrimoines”
► Effective Date
► In case attributed or made payable as from 1 January 1 2012
► No relief for interest accrued prior to 2012
► e.g. Zero coupon bond issued in 2002 and maturing in 2012: entire
amount of the issue discount will be subject to the new rules
Belgian budget 2012 – overview of tax measures Page 60
Withholding tax – Comparison with the Netherlands
Total investment capital 5.000.000,00 €
Dividend income 50,00%
Interest income 50,00%
WHT rate Belgium prior to 2012
Interest 15%
Dividends 25%
WHT rate Belgium as from 2012
Interest income up to EUR 20,000 21%
Interest income exceeding EUR 20,000 25%
Dividendq 25%
Annual revenue Annual dividend
income Annual interest income
Tax in Belgium prior
to 2012
Tax in Belgium as
from 2012 Tax in the Netherlands
3,00% EUR 75,000 EUR 75,000 EUR 30,000 EUR 36,700 EUR 59,746.33
4,00% EUR 100,000 EUR 100,000 EUR 40,000 EUR 49,200 EUR 59,746.33
5,00% EUR 125,000 EUR 125,000 EUR 50,000 EUR 61,700 EUR 59,746.33
6,00% EUR 150,000 EUR 150,000 EUR 60,000 EUR 74,200 EUR 59,746.33
7,00% EUR 175,000 EUR 175,000 EUR 70,000 EUR 86,700 EUR 59,746.33
8,00% EUR 200.000 EUR 200,000 EUR 80,000 EUR 99,200 EUR 59,746.33
9,00% EUR 225,000 EUR 225,000 EUR 90,000 EUR 111,700 EUR 59,746.33
Belgian budget 2012 – overview of tax measures Page 61
Withholding tax
► Action points / points of attention
► Consider investment in following instruments in order to benefit
from a beneficial tax treatment and anonymity
► Branch 21/branch 23 life insurance products (longer than eight years
or payment >130%)
► Capitalization beveks/sicavs that are not EU passported or that do not
invest for more than 40% in debt instruments
► Savings accounts (15% on part exceeding EUR 1,830)
► Consider liquidating your company before the next budget round
Belgian budget 2012 – overview of tax measures Page 62
Withholding tax – Personal income tax return
► Adopted (applicable to payments as from 1 January 2012)
► General reporting requirement for movable income in personal
income tax return, even after application of WHT (Art. 313 ITC)
► All movable income, including copyright income, miscellaneous
movable income, etc.
► Exception: interest/dividends for which solidarity levy of 4% was
applied
► BUT: application of solidarity levy on entire amount (not only on part
exceeding EUR 20,020) – reporting in tax return required for
reimbursement of excess tax (4% on first bracket of EUR 20,020 =
EUR 800.80)
► No application of additional municipality tax: art. 466 ITC will be
amended in a later law
Belgian budget 2012 – overview of tax measures Page 63
Withholding tax – Reimbursement
► Adopted
► Applicable to payments as from 1 January 2011 (retroactively)
► Reduction of period of limitation for reimbursement request for
undue movable WHT and payroll tax from ten years to five years
Belgian budget 2012 – overview of tax measures Page 64
Tax on conversion of bearer financial instruments
► Adopted (applicable as from 1 January 2012)
► Tax on the conversion of bearer financial instruments into
dematerialized financial instruments or registered financial
instruments
► Ratio: avoidance of mass dematerialization at the end of 2013
► Scope
► Bearer financial instruments from Belgian issuers
► Excluded: instruments with maturity date before 1 January 2014
► Taxable basis
► Listed instruments or instruments in Multilateral Trading Facilities: last
listed value before deposit
► Non-listed claims: nominal value of the claim
► Shares in bevek/sicav: last inventory value before deposition
► Other: accounting value on the day of the deposition
Belgian budget 2012 – overview of tax measures Page 65
Tax on conversion of bearer financial instruments
► Adopted (cont‟d)
► Tax rate
► Conversion in 2012: 1%
► Conversion in 2013: 2%
► No conversions after 2013
► Constitutionality questioned by State Council
► Change of position compared to 2005 Law on dematerialization
(possibility of conversion before end of 2013 without cost/tax)
► No reasonable justification for breach of expectations and different
treatment (avoidance of massive dematerialization at the end of 2013)
Belgian budget 2012 – overview of tax measures Page 66
Tax on conversion of bearer financial instruments
► Action points / points of attention
► Convert your financial instruments in 2012 to avoid additional 1%
tax
► Opt for dematerialization of bearer shares benefiting from the
reduced dividend WHT instead of conversion into registered
shares (in view of the continued application of the reduced
dividend WHT rate)
Belgian budget 2012 – overview of tax measures Page 67
Combat against tax fraud
► Adopted: access for financial institutions to the national
register
► Helpful for financial institutions to meet their obligation to
communicate info to National Bank when banking secrecy is lifted
► Identity of the client
► Numbers of accounts and contracts
► Lifting of banking secrecy for Belgian tax authorities in case of
► Clues of tax evasion
► Intention of tax authorities to tax on the basis of “tekenen en indiciën
van gegoedheid/signes et indices d‟aisance”
► Lifting of banking secrecy on simple request in case of request for
information by foreign tax authorities
Belgian budget 2012 – overview of tax measures Page 68
Combat against tax fraud
► Adopted
► Attribution of probative value to the electronic documents of the tax
administration
► Possibility for the tax administration to establish the existence of
infractions of the income tax code in “processen-verbaal/procès-
verbaux”
Belgian budget 2012 – overview of tax measures Page 69
Combat against tax fraud Art. 344, §1 ITC
► General anti-abuse provision adopted in 1993
► Re-characterization of transaction(s), when aim of legal
characterization of the parties opted for is tax avoidance
► Taxpayer may prove legitimate needs of a financial or economic
nature for the chosen legal characterization
► Application in Supreme Court case law
► Cases relating to e.g. back-to-back transaction (subletting),
disproportional share buy-back, split sale of usufruct and bare
ownership, …
► Initially strict legal approach : re-characterization must have similar
legal consequences (impossible for one-step transactions and
difficult for step-by-step transactions unless (near-)simulation)
► New wind (more economic approach) in Supreme Court decision
of 10 June 2010 (cf. infra)
Belgian budget 2012 – overview of tax measures Page 70
Combat against tax fraud Art. 344, §1 ITC / Supreme Court 10 June 2010
A B C
Management fee
BEF 500,000/month
Management fee
BEF 190,000/month
Management
services
► Situation
► Management contract A-B: B does day-to-day management of A
and other company (fee: BEF 500,000 per month per company)
► Management contract B-C: C does day-to-day management of A
and other company (fee: BEF 190,000 per month per company)
► B
► Loss-making company without equipment or assets
► Completely dependent on C for performance of management activities
Belgian budget 2012 – overview of tax measures Page 71
Combat against tax fraud Art. 344, §1 ITC / Supreme Court 10 June 2010
A B C
Gift
BEF 310,000/month
Management fee
BEF 190,000/month
► Reclassification
► Reclassification of the different (artificial) stages of a transaction
into different classification possible provided same transaction
from an economic point of view (substitution of parties possible)
► Re-characterization must have similar non-tax legal consequences
► Result: re-charaterization into payment of management fee by A
directly to C and gift from A to B
Belgian budget 2012 – overview of tax measures Page 72
Combat against tax fraud Art. 344, §1 ITC - modification
► In the pipeline: modification of the general anti-abuse
provision (Art. 344, §1 ITC)
► No text or plans available yet
► Different positions in doctrine after Supreme Court decision
► Position 1: no new provision needed
► More economic approach
► Purely theoretical and non-essential non-tax legal consequences are not to
be taken into account for the reclassification
► Position 2
► No change in approach
► Supreme Court decision deals with an extreme situation
► Almost simulation
► Interposition of B ≈ “naamlening / prête-nom”
Belgian budget 2012 – overview of tax measures Page 73
Combat against tax fraud Art. 344§1 ITC - modification
► In the pipeline: modification of the general anti-abuse
provision (Art. 344, §1 ITC) (cont‟d)
► Possible approach : “wetsontduiking / fraude à la loi”
► Avoidance of the application of tax law
► Through legal and non-simulated legal acts
► Approximating to taxable acts
► While there is no other explanation for those legal acts than tax
avoidance
► Compare
► Art. 1, §10 VAT Code
Belgian budget 2012 – overview of tax measures Page 74
Combat against tax fraud Abuse of management companies
► Tougher approach towards abuse of management
companies
► Not aimed at management companies in se
► Aimed at abuse of management companies
► Combat of turbo-usufruct transactions
► Combat against avoidance of social security regime for employees
and abuse of benefits
► Private expenses
► Cf. supra: company cars, BIK for heating and electricity
► Cfr. infra: tougher application of secret commission tax
Belgian budget 2012 – overview of tax measures Page 75
Combat against tax fraud Secret commission tax
► 309% levy on unreported remunerations, incl. BIK
► Reporting obligation on specific forms: 309% secret commission
tax if not reported
► Past administrative tolerance: no application of 309%
► Classification as disallowed expense
► Booking on the beneficiary‟s current account (post factum)
► Internal administrative instruction (27 July 2011): strict application
of 309% unless
► BIK is reported on the specific forms and in the beneficiary‟s tax return
► BIK is included in the beneficiary‟s filed tax return even though it is not
reported on the specific form; or
► The beneficiary pays the invoiced amount of the benefit, or the value
of the benefit is added to the beneficiary‟s current account in the year
during which the benefit is granted
Belgian budget 2012 – overview of tax measures Page 76
Combat against tax fraud Secret commission tax
► 309% levy on unreported remunerations, incl. BIK (cont‟d)
► Addendum to internal administrative instruction of 27 July 2011
transitory period until 30 June 2012
► BIK taxed on lump sum basis + cell phone
► Tax authorities may decide not to apply the secret commission tax to BIK
discovered prior to 1 July 2012, which are not (sufficiently) reported,
provided taxation in the hands of the beneficiary is still possible
► Other BIK (not discovered prior to 1 July 2012 )
► The secret commission tax applies unless BIK are spontaneously reported
by the beneficiary prior to 1 July 2012
Belgian budget 2012 – overview of tax measures Page 77
Combat against tax fraud Secret commission tax
► 309% levy on unreported remunerations, incl. BIK (cont‟d)
► Addendum to internal administrative instruction of 27 July 2011:
strict application of 309% as from 1 July 2012
► No application of secret commission tax on benefits which are
recorded on the current account of the beneficiary in the year during
which they have been granted
► No longer accepted: not submitting the appropriate forms and waiting
until the tax audit to record the amount of the current account
► Elements to take into account by the tax authorities when assessing
whether or not to apply the secret commission tax
► Good faith of the taxpayer who has simply forgotten or has mistakenly not
reported the benefit
► Exceptional nature of the failure to report and the materiality of the error
► New administrative tolerance: no 309% when no reporting due to
reasonable (but wrong) classification as social/cultural advantage by
grantor
Belgian budget 2012 – overview of tax measures Page 78
Combat against tax and social fraud
► Modifications still in the pipeline
► Harmonization of investigative competencies
► Strengthening of anti-money laundering provisions
► Reporting requirement for foreign accounts (to the National Bank)
► Increased combat of the abuse of the self-employed status, use of
fake companies, abuse of companies (main target on management
companies)
► Increase of maximum penal fines for tax fraud from EUR 125,000
to EUR 3 mio
► And many other measures …
Belgian budget 2012 – overview of tax measures Page 79
Miscellaneous
► Adopted
► VAT
► Increase of tax rate on pay TV from 12% to 21%
► Application of VAT to notaries and bailiffs
► Increase of excises on tobacco
► Bank tax
► Tax on the energy sector
► Increase of the stock exchange tax (tax rates and maximum
amounts)
Belgian budget 2012 – overview of tax measures Page 80
R&D incentives have not been modified
► R&D incentives: confirmation of continuation (and, insofar
possible, extension) of tax measures
► Wage withholding tax exemption
► Investment deduction for R&D
► Patent income deduction
► Exemption of regional grants
► Belgium remains attractive R&D/IP location
Belgian budget 2012 – overview of tax measures Page 81
Conclusion
► What‟s next?
► Next budget round in March (need for additional income / savings)
► Draft legislation for remaining items to be submitted to Parliament
► NID carry-forward
► General anti-abuse measure (Art. 344, §1 ITC),
► Thin cap
► Hopefully, clarification of practical application of solidarity levy of
4% on interest/dividends (especially regarding application at
source)
Belgian budget 2012 – overview of tax measures Page 82
Herwig Joosten
Tel.: +32 2 774 91 00 Email: [email protected]
Ernst & Young
Assurance | Tax | Transactions | Advisory 2012 Ernst & Young Transaction Advisory Services All rights reserved.
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