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Tax aspects of crossborder leasing in Russia

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Options for tax presence for foreign lessor. Withholding tax for lessee ... VAT and duties paid in 3% installments during 34 months until the full amount is paid off ... – PowerPoint PPT presentation

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Title: Tax aspects of crossborder leasing in Russia


1
Tax aspects of cross-border leasing in Russia
  • Vladimir Gidirim, Tax Manager, Ernst Young
  • February 10, 2004

2
Tax attributes of cross-border leasing
  • Available structures
  • Balance sheet choice
  • Options for tax presence for foreign lessor
  • Withholding tax for lessee
  • 20 WHT is applicable to the lessors margin
  • 0 under most double-tax treaties
  • Customs duty
  • Rates vary upon type of assets
  • Customs VAT
  • 18 on the customs value inclusive of duty
  • Reverse charge VAT for lessee
  • 18 on income of foreign lessor without Russian
    tax registration

3
Available lease structures
Structures
Domestic leasing
Cross-border leasing
  • A foreign lessor without presence in Russia
  • A foreign lessor with a registered presence but
    no Permanent establishment (PE)
  • A foreign lessor with a PE
  • Lessor is a Russian legal entity

4
Balance sheet choice
  • By default lessor accounts for an asset
  • However, lessee accounts on his balance sheet if
    provided by the leasing agreement
  • BSC affects
  • Deductibility of depreciation/lease payments
  • Asset tax
  • Potentially, input VAT

5
Tax presence of a foreign lessor in Russia
  • Tax registration with no PE
  • Profit tax - NO
  • VAT administration - YES
  • Asset tax
  • if movable property NO (Chapter 30 of TC)
  • If immovable YES (no treaty exemption)
  • PE risk exists since Russian tax authorities may
    try to challenge the non-PE status
  • Leasing activity is performed via PE
  • Profit tax - YES
  • VAT - YES
  • Asset tax - YES (no treaty protection usually
    available for movable property of a PE)

6
Taxation of lease payments
VAT issues
WHT issues
  • 20 WHT is applicable to the
  • lessors margin
  • Difficulty to prove the margin
  • Under treaty WHT rates reduction to 0
  • Advance treaty clearance available

Domestic legislation
  • In most cases 18 reverse charge VAT is
    applicable to payments to a foreign lessor
    without Russian tax registration (exceptions
    ground vehicles and arguably ships)
  • Payments need to be grossed-up in order to
    eliminate VAT cost to lessor

Treaty Protection
7
Customs issues
  • Determination of customs value
  • Lessors acquisition cost?
  • Summation of lease payments?
  • What about inclusion of interest?
  • Timing of customs payments (customs duties and
    VAT)
  • A) Regime of free circulation (immediate payment)
  • B) Temporary import regime (deferrals available
    but difficult to obtain)

8
Timing of customs payments
  • Law on leasing (art. 34)
  • Historical controversy of application of
    deferral option
  • Arbitration Court decision in favour of a
    taxpayer
  • New Customs Code effective 2004 simplifies
    customs VAT and duties deferral (can be used for
    leasing)
  • Assets are declared under the temporary import
    regime for 34 months
  • Customs VAT and duties paid in 3 installments
    during 34 months until the full amount is paid
    off
  • If assets are cleared into free circulation, no
    additional interest for deferral of payments
    applies
  • Conditions foreign-owned property fixed
    production assets
  • Detailed procedures not yet established hence
    practical application yet to be tested

9
Example
  • Cost 10,000
  • Customs duty 15
  • Customs VAT 20
  • Time period 34 months
  • Partial instalment 3 monthly
  • Customs duty to be paid 10,000 x 15 1,500
  • Customs VAT to be paid ((10,000 1,500) x
    20) 2,300
  • Computation of customs VAT and duty deferral
  • 1 year VAT 2,300/3412m 812
  • Duty 1,500/3412m 529
  • 2 year VAT 2,300/3412m 812
  • Duty 1,500/3412m 529
  • 3 year VAT 2,300/3410m 676
  • Duty 1,500/3410m 442
  • No interest for deferral applies

10
Customs taxes on imported assets
Customs VAT
Customs duty
  • Who pays customs VAT according to the lease
    agreement?
  • If lessee pays, VAT offset problem may arise
  • If lessor pays, tax registration in Russia may be
    a solution
  • Who pays customs duties according to the lease
    agreement?
  • If lessee pays, deduction of customs duties may
    be a problem
  • If lessor pays, it needs to be factored into the
    lease payments

11
Customs VAT
  • VAT paid to Customs by lessee
  • Formal requirement for input VAT credit is not
    met (e.g. acquisition of the asset by the
    lessee Art. 171.2 of the Tax Code)
  • Acquisition may or may not take place in the end
    of the lease depending on the existence of the
    purchase option in the leasing agreement. If
    purchase option is exercised, the customs VAT is
    offset only at this moment
  • Balance sheet accounting enhances chances for VAT
    credit for lessee, but does not solve the
    acquisition problem as such (formally, no
    acquisition occurs at the moment of importation)
  • Interpretative letters of Minfin and Mintax
    contradict each other. A private clarification
    could be sought to avoid tax penalties in case of
    a dispute with tax authorities
  • We are not aware of any court practice on this
    issue yet

12
Customs VAT
  • VAT paid to Customs by lessor
  • Payment of customs VAT by the Russian lessee may
    result in inability of the lessee to offset
    customs VAT
  • A possible solution is that the foreign lessor
    pays customs VAT and applies for VAT offset of
    customs VAT
  • This is only possible if the foreign lessor
    registers for tax purposes with Russian tax
    authorities. Once foreign lessor is registered,
    it could administer VAT in a manner similar to
    domestic lessor (collect output VAT and offset
    customs VAT)

13
Tax (incl. VAT) registration
  • In order to obtain VAT offset, the foreign lessor
    needs to apply for a full tax registration. No
    VAT-only registration exists. Grounds for a
    full Russian tax registration include
  • activity in Russia via otdelenie for more than
    30 days in a calendar year
  • immovable property located in Russia
  • transportation vehicles located in Russia -
    registration in whose name?
  • The only practical way to tax register is to
    proceed with the registration of an otdelenie,
    which triggers a PE risk

14
Further VAT issues
  • Further VAT issues for tax-registered lessors
  • Time gap between incurring and recovery of input
    (customs) VAT
  • VAT refund difficult to obtain
  • Devaluation costs
  • Non- VAT issues may arise for the lessor from
    Russian tax registration
  • need for monthly VAT filing to tax authorities
  • Need for annual/quarterly filing of various other
    returns to tax authorities
  • need to defend the non-taxable status (absence
    of a PE)
  • certain other compliance requirements and costs
  • However, practical and working examples exist

15
PE issue
  • No PE arguments for foreign lessors
  • Existence of an otdelenie does not mean a PE
  • Existence of a PE should be assessed on the basis
    of the article 306 and the applicable double tax
    treaty
  • OECD commentary denies existence of a lessors PE
    if the major decisions on entering into lease
    transactions are met abroad
  • The otdelenie may maintain auxiliary
    functions, e.g. administration (filing VAT
    returns). If this activity is outsourced, PE risk
    is further reduced

16
Assets tax
  • Balance sheet holder pays the tax
  • Under Chapter 30 of the Tax Code, no tax is paid
    on movable property unless it belongs to assets
    of a PE
  • So, if balance sheet holder is the foreign lessor
    and no PE arises, no Russian asset tax is paid
    for movable assets. No treaty protection needed.

17
Suggested EBC action
  • EBC has already applied to MNS for clarification
    on VAT/PE issue which proved unsuccessful
  • Therefore, it is suggested to apply to Duma Tax
    Committee for Tax Code changes which would
  • Remove the uncertainty regarding possibility for
    lessees to offset customs VAT in full, and/or
  • Allow VAT-only registration for foreign lessors
    to ease the administration of VAT

18
Contact details
Vladimir Gidirim Manager International Tax
Services Phone 7 095 755 9700Fax 7 095 705
9293vladimir.gidirim_at_ru.ey.com
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