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Taxes, Investments and Opportunities in the Middle East

Taxes, Investments and Opportunities in the Middle East. 6th Asia/Africa IFA Regional Conference - May 10-11, 2012, Mauritius Thomas Hanz é ly. General. Taxes in the Middle East Political Developments and the Economic Situation – impact on tax policy

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Taxes, Investments and Opportunities in the Middle East

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  1. Taxes, Investments and Opportunities in the Middle East 6th Asia/Africa IFA Regional Conference - May 10-11, 2012, Mauritius Thomas Hanzély

  2. General • Taxes in the Middle East • Political Developments and the Economic Situation – impact on tax policy • Focus on the GCC (in particular Bahrain, Qatar and the UAE) – attractive for foreign investors • GCC as an economic union?

  3. Corporate Tax Rate Changes in the Middle East Source: Ernst & Young, Tax Treaties - Recent Applications in the Middle East, 2010

  4. General II • Corporate Taxation • Different tax rates for the hydrocarbon industry • VAT – any harmonization of indirect taxes in the GCC in the near future? • Personal Income Tax • Growing Treaty Network – availability of treaty benefits, dispute resolution, aggressive approach in various matters (e.g. Permanent Establishments) • Withholding Tax Regimes applied by most of the MENA countries

  5. General Issues III • Lack of service-oriented administration? • However I: Ease of Doing Business report (World Bank, 2012) places Saudi Arabia overall 12th, the UAE 33rd, Qatar 36th, Bahrain 38th • However II: Index of Economic Freedom (Heritage Foundation in cooperation with the WSJ 2012) places Bahrain 12th, Qatar 25th, UAE 35th • Communication with authorities • Interpretation of tax rules • Language • No bankruptcy laws, no credit rating system • Anti-Fronting Laws • Still a safe haven for business?

  6. Economic Substance in GCC Structures • ES is an emerging trend • ES can be implemented in the region – place of effective management and control can be in GCC countries • There are plenty of non-tax reason to establish a company in the GCC

  7. Country profiles

  8. Bahrain

  9. Bahrain – Tax Profile • Only GCC country without any (statutory) tax • No corporate income tax (CIT), no capital gains tax (CGT), no withholding tax (WHT), no personal income tax (PIT), no VAT • Except a 46% corporate income tax levied on oil and gas companies • Treaty network (25, in force, 8 pending) • a.o. Austria, China, France, Ireland, Netherlands, Singapore • Pending treaties with Belgium and the UK

  10. Bahrain – at a Glance I • Historical financial and trading hub in the ME • Not considered as a tax haven • 100% foreign ownership allowed • Business friendly environment • Good infrastructure • Costs • Political situation?

  11. Bahrain – at a Glance II • Free Trade Agreement with the U.S. (2006) • Bahrain International Investment Park (BIIP) • 0% Corporate Tax with a 10 year guarantee • Duty free access to the markets of the Gulf Cooperation Council (Bahrain, Kuwait, Oman, Qatar, Saudi Arabia and the United Arab Emirates) • 100% Foreign Ownership • Availability of serviced industrial land at extremely competitive rates • Renewable 50 year leases • No recruitment restrictions for the first 5 years • Dedicated assistance of a professional management team

  12. Qatar

  13. Qatar – Tax Profile • New taxlaweffectivesince 1 January 2011 • CIT and CGT 10% (flat rate); petroleumcompaniesaretaxedat not lessthan 35% orasdetermined in theproductionsharingagreement (PSA) • No personal incometax, no VAT • Anti-avoidancemeasures • Transfer pricing

  14. Qatar – Overview • One of the fastest growing country worldwide – economy is based on the revenues from liquefied natural gas (LNG) • Restricted foreign ownership (49/51) – 100% foreign ownership only in exceptional cases • Role of the Qatar Financial Centre (QFC) – separate/parallel from Qatari legal system based on common law principles • Qatarization laws • Costs • Treaty Network (37 in force, 7 pending) • Many OECD countries, India, Singapore, China, Mauritius

  15. Qatar – Withholding Tax vs Contract Retention • WHT at 5% (royalties, technicalfeesormanagementfees) or7% on anyotherpayments (e.g. director´sfees, brokeragefees, commissions, etc.) • Contract retention applies if a company is not incorporated in Qatar or only for a period of less than a year and for a specific project. Contract retention it will be the greater of i) 3% of the contract value excluding the supply value and value of work done outside Qatar and ii) the final payment.

  16. United arab emirates

  17. UAE – Tax Profile • Statutory CIT exists, but not enforced, currently 0% CIT • Petroleum companies are taxed based on individual agreements – tax rates are not disclosed • Branches of foreign banks are also taxed • No personal income tax, no CGT, no VAT • Treaty Network (47 treaties in force, 10 pending) • Many OECD countries, India, China, Singapore, Mauritius, Mozambique

  18. UAE - Free Zones • Free Zones • 100% foreign ownership only in free zones – new company laws on the agenda • guaranteed tax holiday • no restrictions on hiring foreign professionals • State of the art infrastructure • Professional local authorities / procedures put in place • More than 30 Free Zones in the Emirates

  19. UAE – Free Zones & Economic Substance • Dubai International Financial Center (DIFC) Jebel Ali Free Zone (JAFZA) most well known • Most Free Zones allow for the implementation of economic substance • Anti-avoidance provisions in tax treaties • limitation of benefits • subject-to-tax / liable-to-tax (unclear whether UAE residents are liable to tax in the context of the treaty) • Conclusion: bona fide business at least required in order to benefit from tax treaties

  20. India – UAE DTT Article 29- Limitation of Benefits An entity which is a resident of a Contracting State shall not be entitled to the benefits of this Agreement if the main purpose or one of the main purposes of the creation of such entity was to obtain the benefits of this Agreement that would not be otherwise available. The cases of legal entities not having bonafidebusiness activities shall be covered by this Article.

  21. UAE – Recent Developments • Ras Al-Khaimah (RAK) – new offshore jurisdiction / is the UAE (still) promoting offshore structures? • Since 1 January 2011 offshore companies may not acquire real estate in the UAE anymore • A result of the fight against money laundering and a move towards greater transparency • Only entities registered with the Jebel Ali Free Zone are eligible to register real estate

  22. General issues

  23. General • Greater Arab Free Trade Agreement (GAFTA) • Pan-Arab free trade greement (1997) • 14 signatory states • Full liberalization of goods with full exemption of customs duties and charges • key benefits: reduction of usual 15/20% import duty imposed by many MENA countries • To benefit from the GAFTA, the imported products must be enhanced in one of the signatory states – the UAE is often used as a gateway to other GAFTA countries, since it has low import duties (5%)

  24. Legal Issues • Legal Systems / Dispute Resolution • civil law (based on Egyptian law) • common law (e.g. DIFC and other free zones) • Shariah law (GCC countries have a dual system) • Arbitration • DIFC courts can be competent for disputes from other GCC countries (since October 2011)

  25. Indian Double Tax Treaties • Kuwait (in force, 2007) • Oman (1997) • Qatar (2000) • Saudi Arabia (2006) • UAE (1997, amended in 2007)

  26. conclusion

  27. THANK YOU PHONE +973 17502909 (Office) Sunday to Thursday, 8:30AM to 5:30PM Standard time zone: UTC/GMT +3 hours FAX +973 17502910 E-MAIL info@bbd-e.com ADDRESS BBD Enterprises WLL Level 22, West Tower Bahrain Financial Harbour King Faisal Highway Manama, Kingdom of Bahrain

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