Mr. Picharn Sukparangsee - TAX PLANNING & RISK MANAGEMENT presented by At the Corporate Legal Risk Management Summit 2019 - BANGKOK ...

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Mr. Picharn Sukparangsee - TAX PLANNING & RISK MANAGEMENT presented by At the Corporate Legal Risk Management Summit 2019 - BANGKOK ...
TAX PLANNING & RISK MANAGEMENT
           presented by
           Mr. Picharn
          Sukparangsee
 At the Corporate Legal Risk Management Summit 2019
             Arranged by SNP training
                  On 24 May 2019
at Grande Centre Point RATCHADAMRI Hotel Bangkok
Mr. Picharn Sukparangsee - TAX PLANNING & RISK MANAGEMENT presented by At the Corporate Legal Risk Management Summit 2019 - BANGKOK ...
TAX PLANNING
               ➢ Revenue Code of Thailand
                    - Direct taxes – corporate income tax and personal
               income tax
                    - Indirect taxes – value added tax and specific
               business tax
                    - Stamp duty
               ➢ Investment Promotion Act of Thailand provides for tax
                  and non-tax incentives.
               ➢ National Competitiveness Act of Thailand grants a
                  special tax exemption.
               ➢ Thailand is a country or a state.
Mr. Picharn Sukparangsee - TAX PLANNING & RISK MANAGEMENT presented by At the Corporate Legal Risk Management Summit 2019 - BANGKOK ...
Tax Planning
➢ Revenue Code covers personal income tax, corporate income
  tax, valued added tax , specific business tax and stamp duty.
➢ Tax Rates
   o   PIT rates ranges from 5% to 35% of the net  Competitor
                                                     income.
   o   CIT flat rate is 20% of the net profits.
   o   VAT current rate is still at 7% of the revenue.
   o   SBT rate is at 3% of the revenue.

                                              3
Mr. Picharn Sukparangsee - TAX PLANNING & RISK MANAGEMENT presented by At the Corporate Legal Risk Management Summit 2019 - BANGKOK ...
Tax Planning
➢ Stamp duty is required for instruments.
➢ Taxes under the Revenue Code are collected at the national level.
➢ Land and building tax is collected at a local authority level.
➢ Are provisions of the Revenue Code and regulations simple, precise, clear and fair?
                                                        Competitor
➢ Revenue tax, customs duties, excise tax should be taken into consideration for trade
  and investment.
➢ Tax liability and tax exemption should be explored.
➢ Thailand provides a lot of tax benefits.

                                                        4
• A tax reduction of up to Baht 200,000 for a purchase of
TAX BENEFITS
                 a residential unit value up to Baht 5 million (from April

                 to December 2019)

               • A reduction of a home transfer fee from 2% to 0.01 %

                 and a mortgage fee from 1% to 0.01 % of value of a real

                 estate at a price lower than Baht 1 million until 31 May

                 2020.
Other taxes
○ Digital Services Tax is thought of in Thailand.
○ Land and Building Tax is effective in Thailand.
○ E-commerce Tax is imposed in Thailand. Competitor
       Federal tax, state tax and local tax should be reviewed if trade
or investment would be made in any country

                                                                          NAME OR LOGO   6
Board of Investment
      (“BOI”)
Board of Investment (“BOI”)

•    Tax Exemption
    ➢ exemption of corporate income tax
    ➢ reduction of corporate income tax
    ➢ exemption of import duty on importation of machinery and
      equipment
    ➢ exemption of import duty on importation of raw materials.

                                                                  NAME OR LOGO
Board of Investment (“BOI”)

› 10 target businesses are promoted by the BOI.
›Investment promotion is granted on a project by project basis.
›A corporate tax income filing of a company covers all projects of the company.
›Under a new notification of the Office of the BOI , profits and losses of all projects must be
set off against each other.
›BOI and non-BOI
›Tax exemption under an investment certificate may have some issues.
East Economic Corridor (“EEC”)
  Tax privileges are provided for projects located in the EEC
  consisting of Chachoengsao, Chonburi and Rayong
  Provinces in the East of Thailand.

International Business Centre (“IBC”)
  IBC replaces International Headquarters (“IHQ”) and
  Regional Operating Headquarters (“ROH”)
  Issues to be considered
                                                                10
Issued to be considered
Issues to be considered
  Should agreements be aggregated or separated?
  -lease agreement and service agreement
  -Service agreement and royalty agreement

  Why are levels of companies required?
  Land should be transferred from an individual into a company.
   Why are levels of companies required?
   Land should be transferred from an individual into a company.
  Why are levels of companies required?
  Land should be transferred from an individual into a company.
                                                                   12
Issues to be considered
  Either dividend or capital gains should be chosen for an investment in a foreign
  country by use of a foreign company in a foreign country.
  Dividend may be exempted from tax at a domestic level or an international level.
  Capital gains may be exempted from tax at a domestic level or an international
  level.
  Is payment for software training considered in Thailand to be a business profit or
  royalty ?
  A loss company has its value for tax purpose.
  Unilateral tax relief is provided for investment in a foreign country provided that
  conditions have been met.
  Advantages and disadvantages between share purchase and asset purchase
  should carefully be taken into consideration.                                   13
Double Taxation
  Agreement
   (“DTA”)
Double Taxation Agreement
                         (“DTA”)

➢   OECD model tax convention
➢   UN model tax convention
➢   US model tax convention
Double Taxation Agreement
                             (“DTA”)

➢ Tax evasion, tax avoidance , aggressive tax avoidance are interesting to be
  thought of.
➢ Source state and resident state should be considered.
➢ Allocation of taxes between the source state and the resident state have
  been seriously reconsidered after BEPS 15 Action Plans.
➢ A third state may be involved as a stepping stone and a treaty shopping
  may be exploited.
➢ Form may conflict with substance.
Double Taxation Agreement
                             (“DTA”)

➢ Business may be conducted either with a country or in a country.
➢ Double taxation or a double non taxation may occur in an international
  transaction.
➢ Treaty shopping is related to a legal owner and a beneficial owner.
➢ A non – party to the DTA cannot benefit from by provisions of the DTA.
➢ Income and capital may be classified into
       -      Business profits
       -      Specific income or capital gain
       -      Other income
Permanent Establishment
Permanent Establishment
➢ Business profits paid from a Thai company to a foreign company are taxable in
  Thailand unless the foreign company is incorporated under law of a foreign country
  having the DTA with Thailand and has no PE in Thailand.
➢ Interest paid by a Thai company to a foreign company is generally subject to
  withholding tax in Thailand unless any exemption or deduction of tax is provided.
➢ Front-end fee, management fee, standby fee and guarantee may be regarded as
  service fee or interest.
➢ Dividend paid by a Thai company to a foreign company is generally subject to
  withholding tax in Thailand unless any exemption or deduction of tax is provided.
➢ Royalties may be subject to a different rate of withholding tax under a DTA.
➢ Capital gains may be exempted from tax in Thailand.
➢ Any certain income may be deemed to arise in a source country by use of the
  principal of Force of Attraction.
Issues on quasi-equity
instruments such as convertible
 bonds or exchangeable notes
Issues on quasi-equity instruments
  such as convertible bonds or exchangeable notes

➢ Thailand has no law on CFC, GAAR or SAAR.
➢ Thailand has no tax law on Thin capitalization
➢ The Revenue Department of Thailand may have its own
  way of interpretation of taxation laws in certain issues.
➢ Judicial review plays an important role interpretation of
  laws.
Base Erosion and Profit Shifting
           (“BEPS”)
Base Erosion and Profit Shifting
                     (“BEPS”)

➢ The Inclusive Framework on Base Erosion and Profit Shifting
  (“Inclusive Framework”)
➢ Global Forum on Transparency and Exchange of
  Information for Tax Purpose (“Global Forum”).
➢ In 2017, Thailand is the 139th member of the Global Forum.
Base Erosion and Profit Shifting
                              (“BEPS”)
 Forms of Exchange of Information
 set by the Global Forum                   Preparation of files
○ Exchange of Information on Request       ○ Local file
  (EOIR)
                                           ○ Master file
○ Spontaneous Exchange of Information on
  Request (“SEOI”)                         ○ Country-by-Country Reporting (“CbCR”)

○ Automatic Exchange of Information
  (“AEOI”)

                                                                          NAME OR LOGO   24
Base Erosion and Profit Shifting
                              (“BEPS”)
Two sets of information are
exchanged:
○ Financial information reported under the     ○ Local file
  Common Reporting Standards (“CRS”)
                                               ○ Master file
  and
                                               ○ Country-by-Country Reporting (“CbCR”)
○ CbCR

Tax and non-tac issues should be aware if tax benefits under Treaty of Amity between the
U.S.A. and Thailand are used while a foreign business license requires a direct shareholding
by a US corporation , not indirect shareholding in a third country, in a company
incorporated under law of Thailand.

                                                                                 NAME OR LOGO   25
Base Erosion and Profit Shifting
                     (“BEPS”)

➢ The Inclusive Framework on Base Erosion and Profit Shifting
  (“Inclusive Framework”)
➢ Global Forum on Transparency and Exchange of
  Information for Tax Purpose (“Global Forum”).
➢ In 2017, Thailand is the 139th member of the Global Forum.
Issues                                         Cases
• Provisions of laws and regulations may        • Marketing and royalty case
  be similar or slight different but            • BOI and non- BOI case
  interpretation of laws and regulations
  may be totally different from one             • An international M&A and tax case
  jurisdiction to another jurisdiction.

                                           27
Chart on Purchase, royalty and management
Country C
               Co C

                      shareholding
                      loan
Country B

               Co B

                      shareholding
                      loan

Country A                            purchase payment to Co D
               Co A
                                     royalty payment to Co E
                                     management fee to Co F
Chart on sale, service, loan and guarantee

                           Co C                                 Bank C

                                Supply of parts                     Guarantee

                                                                            Guarantee
                           Co B                                  Bank B
                                                  loan

                                  sale of machinery

                                                                Bank A2

Sub-Co A                   Co A                          loan

    installation of equipment                                   Bank A1
                                                         loan
Chart    on
  Chart on      realoperating,
           real estate, estate,      operating,
                               Thai holding               Thai Holding
                                            and Foreign Holding

                     ,and Foreign Holding

                         Foreign Co.

                       Thai Holding Co.

                      Thai operating Co.

                          real estate
Thank You very much
for your kind attention
     Picharn Sukparangsee
     (66)2 -252-5895 / (66)81-7353160
     Picharn@bgloballaw.com,
     www.bgloballaw.com
 BANGKOK GLOBAL LAW OFFICES LIMITED
 540, Unit 1705, 17th Floor, Mercury Tower,
 Ploenchit Road, Lumpini ,
 Pathumwan , Bangkok 10330 Thailand
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