Title: Presentacin Argentina noviembre 2004
1Tax havens development Case study of the
Netherlands
Francis Weyzig Centre for Research on
Multinational Corporations (SOMO) Tax Learning
Day Dublin, 9 June 2008
2About SOMO
- What we do Research, capacity building, and
network coordination - Areas of work Corporate accountability, trade
investment - Research on corporate taxation started in May
2006 - Tax Justice NL established in May 2007
3The Netherlands A Tax Haven?
SOMO study, published November 2006 Focus on
Dutch corporate tax system Headline news
4The Netherlands A Tax Haven?
- The Netherlands is a tax haven
- For multinationals
5The Netherlands A Tax Haven?
The Netherlands is a tax haven
- But not for normal people
- And not for small
- and medium enterprises
6The Netherlands A Tax Haven?
- Why is the Netherlands a tax haven?
- Harmful tax measures
- ? Income shifting to the Netherlands
- Combination of tax laws and tax treaties
- ? Income shifting through the Netherlands,
- to traditional tax havens
7The Netherlands A Tax Haven?
- But the Netherlands does not
- Allow bank secrecy
- Refuse to exchange tax information
- Have a low overall corporate tax rate
- Depend on tax haven services for its economy
8The Netherlands A Tax Haven?
- Consequences
- 20,000 mailbox companies without substance
- Administrated by trust offices
-
9The Netherlands A Tax Haven?
- Consequences
- Headquarters located in the Netherlands
10The Netherlands A Tax Haven?
- Consequences
- Additional tax revenues corporate services
industry in the Netherlands - Loss of tax revenues to other countries,
including developing countries - (assumption investments not affected)
11Harmful tax measures More details
- Harmful tax measures identified in 1999
- Various types of tax rulings, allowing transfer
mis-pricing - Shipping tax regime
- Taxation of foreign branches
- Group financing activities (GFA) regime
12Harmful tax measures More details
- Harmful tax measures at present
- Various types of tax rulings, allowing transfer
mis-pricing - Shipping tax regime
- Taxation of foreign branches
- Group financing activities (GFA) regime
- But new regime proposed
- ? Income shifting to the Netherlands
13Technical note Income shifting
Multinational corporation
14Technical note Income shifting
Parent (UK)
Subsidiary (ZA)
Subsidiary (NL)
Subsidiary (TZ)
Subsidiary (ZA)
Subsidiary (ZM)
15Income shifting to the Netherlands
Parent (UK)
7 tax
Subsidiary (ZA)
Subsidiary (NL)
Interest
Loan
Subsidiary (TZ)
Subsidiary (ZA)
Subsidiary (ZM)
35 tax
16Harmful tax measures More details
- Old GFA regime
- Only for multinationals
- Effective tax rate 615 on intra-group royalties
and interest income - Very complex legislation
- Approved for less than 100 multinationals
- New GFA regime
- For all companies
- Effective tax rate 5 on intra-group interest
income - Relatively simple legislation
- Being reviewed by EC, not in force yet
17Tax laws and tax treaties More details
- Special features of the Dutch tax system
- Large network of favourable tax treaties,
reducing withholding tax (WHT) on incoming
payments - No WHT on outgoing royalties and interest
- ? Income shifting through the Netherlands
- (conduit constructions)
- Foreign income tax exemption
- Highly developed tax services
- Case law on tax strategies
18Income shifting through the Netherlands
Example royalty conduit
Parent company (US)
Patent
(Up to 20 tax)
Royalties
15 WHT
Subsidiary (Indonesia)
19Income shifting through the Netherlands
Example royalty conduit
Parent company (US)
Patent
(Up to 25 tax)
Royalties
10 WHT
Subsidiary (NL)
Subsidiary (Indonesia)
20Income shifting through the Netherlands
Example royalty conduit
Parent company (US)
Patent
Patent
Royalties
10 WHT
0 WHT
Subsidiary (NL)
Subsidiary (Indonesia)
Subsidiary (Bermuda)
21Tax Haven and Development Partner
2nd SOMO study, published June 2007 Focus on
effects for developing countries
22Tax Haven and Development Partner
- In the report
- New data from Dutch Central Bank on conduit
companies - Facilitation of aggressive tax avoidance in
developing countries presented as policy
coherence issues - Estimates of tax revenue losses in developing
countries
23Tax Haven and Development Partner
Outward FDI stock 2005 (investment abroad)
Investment via conduit companies
?
24Tax Haven and Development Partner
- Two estimates of tax revenue losses
- 640 million per year
- 100 million per year
- See report for assumptions and calculations
- Other countries facilitate similar aggressive tax
avoidance constructions
25Ireland vs. the Netherlands
- Similarities
- Financing (treasury) operations of multinationals
attracted - Mailbox companies without substance
- Facilitation of aggressive tax avoidance in other
countries
26Ireland vs. the Netherlands
- Differences
- Mainly income shifting through the country
- Most harmful operations mainly financing
- Mainly income shifting to the country
- Most harmful operations
- financing and royalties
27Ireland vs. the Netherlands
- Campaigning opportunities
- Harmful effects for developing countries ?
Difficult to prove? - Mailbox companies, sham constructions ? Other
issue? - Unfair competition ?
- The liberal approach?
- Corporate responsibility ? Focus on individual
companies?