Title: Best Practices in Tax
1Best Practices in Tax Treasury
October 24, 2001 Orrick, Herrington Sutcliffe
LLP Greenwich Treasury Advisors LLC
2Todays Presentations
- Background on speakers
- Tax issues and opportunities
- Treasury best practices and issues
- Tax Treasury working together
3Peter Connors
- Tax partner at Orrick, Herrington Sutcliffe LLP
- Past Chairman, ABAs Tax Section Committee on
Financial Transactions - Most recent publications, The New Euro
Regulations, Journal of Bank Taxation (1999)
see also www.orrick.com - Author, BNA Portfolio on Section 475
- U.S. Editor, Derivatives Financial Instruments
- Previously, Tax Partner at Baker McKenzie, and
Director of International Capital Markets Tax
Services at Ernst Young - LL.M (Taxation) NYU Law School and J.D.,
University of Richmond - Phone (212) 506-5120 Email pconnors_at_orrick.com
4Jeff Wallace
- Managing partner, founded GTA in 1992.
- Formerly, VP International Treasury at American
Express, Assistant Treasurer of Dun Bradstreet
and of Seagram, CPA with Price Waterhouse - Author of The G31 Report Core Principles for
Managing Multinational FX Risk, (AFP, 1999) - Editorial boards of International Treasurer,
International Finance Treasury, and Treasury
Management International - Phone (203) 531-0835
- Email jeff.wallace_at_greenwichtreasury.com
5Tax Issues and Opportunities
- Leveraging tax-favored investments
- Tax basics of foreign tax credit and impact on
funding - Impact of FX on offshore Treasury operations
- The offshore bank for vendor finance operations
- Importance of tax documentation for hedging
transactions - Repatriation issues
6Treasury Best Practices Issues
- Core principles for managing FX risk
- Corporate governance and centralized treasury
issues - A compendium of international treasury structures
- In-house banks
- Purchasing receivables without recourse versus
interco loans - Virtual Euro cash consolidation via your
interco netting system - Agency treasury management (outsourcing)
- The 21st Century MNC Treasury
7Tax and Treasury Working Together
- Tax Treasury are natural partners
- Common mistakes
- Recommendations
8Tax Issues and Opportunities
- Peter Connors, Partner
- Orrick, Herrington Sutcliffe LLP
9Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
10Leveraged Investments in Tax-Favored Investments
- 1
- Interest incurred to purchase or carry tax exempt
investments is not deductible under IRC 265 - Rev. Proc. 72-18 sets guidelines for determining
when interest expense is allocable to an
investment - The prohibition does not apply in certain de
minimus situations, - if the investment if less than 2.0 of assets,
using adjusted tax basis, it will not apply. - Should also be able to use excess cash created by
borrowings to meet reasonable needs of business
11Leveraged Investments in Tax-Favored Investments
- 2
- By analogy, should apply to money market
preferred - Double-up of dividends received deduction?
- Intercompany hybrid instruments
12Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
13Impact of FTC on Funding 1
- Allocation of Interest Expense
- Interest expense is allocated based comparison of
foreign and US assets - Losses on certain interest expense equivalents
that alter the cost of funds must be allocated
in same manner as interest expense - Taxpayers must elect to allocate gains from these
transactions as a reduction of the cost of funds
and thus reduce interest expense
14Impact of FTC on Funding 2
- Under the CFC netting rule, interest incurred on
certain loans to controlled foreign corporations
should be allocated directly to foreign income - If not sufficient foreign income, may result in
OFL - The tax benefit associated with the interest
deduction should include both state and federal
taxes - However, if interest expense is allocated to
foreign source interest and the taxpayer is an
excess credit situation, a reduction in tax
benefit should be made
15Impact of FTC on Funding 3
- Example
- Assume US CO has foreign to worldwide ratio of
70 - Anticipates borrowing at a cost of 5 or 5
million - Tax benefit of 2 million (40 times 5 million)
should be reduced by 70 to 0.6 million - Consider strategies to reduce excess FTC
position, including C-T-B planning and use of
offshore finance company - Consider deconsolidated finance company or
- Consider preferred share issuance
16Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
17Impact of FX on Offshore Treasury Operations-1
- Foreign operations further complicate matters due
to special rules for foreign source income - Under the regime for controlled foreign
corporations, certain categories (baskets) of
passive income result in foreign personal holding
company income (FPHCI) - Gain from property sales
- Interest, dividends, etc.
- Commodities gains
- Foreign currency gain
- Income equivalent to interest (e.g., factoring
income)
18Impact of FX on Offshore Treasury Operations-2
- Importantly, losses from one category of
transaction do not reduce income in the other
category - There are hedging regimes within the CFC rules
that are applicable in addition to the business
hedging rules. - It is often necessary to utilize the complete
integration regimes to avoid FPHCI basketing
problems.
19CFC Borrowing Hedged with Swap
US
Loan
CFC
Swap Counterparty
Floating
Floating Interest
Fixed
CFC has 100 of Subpart F income and 100 of
manufacturing income. Assume it has 60 in
interest expense and 20 in swap net income.
Subpart F Income Non-Subpart F
Income Amount 100 100 Int. Expense (
30) ( 30) Swap Income 20
0 Net 90 70
20Foreign Base Company Sales No Election
Assume CFC has an FC receivable arising from a
foreign base sales activity. It also has 30 of
FX loss in year 1 and 30 of FX gain in year 2.
It has 100 of foreign base company sales income
and 100 of manufacturing income. Year 1 Subpart
F Income Non-Subpart F Income Amount 100 10
0 FX 0 ( 30) Net 100
70 Year 2 Amount 100 100 FX 30
0 Net 130 100
21 Foreign Base Company Sales Election
Assume CFC has an FC receivable arising from a
foreign base sales activity. It also has 30 of
FX loss in year 1 and 30 of FX gain in year 2.
It has 100 of foreign base company sales income
and 100 of manufacturing income. Year 1 Subpart
F Income Non-Subpart F Income Amount 100
100 FX (30) 0 Net
70 100 Year 2 Amount 100 100 FX
30 0 Net 130 100
22Impact of FX on Offshore Treasury Operations-3
- Euro Adoption Issues
- Issue is when is exchange gain or loss and
translation gain or loss recognized with respect
to legacy currency denominated transactions - Generally deferred until repayment
- Planning permitted for receivables and payables
- Election to recognize gain or loss as of last day
of year prior to the change - Need to avoid double taxation
- Built-in translation gain/loss to be recognized
over 4 years beginning with year of change - Potential for additional changes in functional
currency
23Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
24The Offshore Bank 1
- Normally interest income received is subpart F
income - Planning possible for related party interest
- Section 954(h)-- Exclusion for Banks, Insurance
Companies, and Securities firms - Banking income includes vendor finance
- Requirements
- 70 of income from a lending or finance business
from unrelated customers - Includes making of loans and discounting of
receivables -
25The Offshore Bank 2
- Requirements (contd)
- 30 limitation on non-banking and non-securities
Income - Substantial activity requirement in home country
for cross-border income - 12 companies have set up operations in Ireland
- Proposed legislation would make section 954(h)
permanent - In todays environment, vendor financing may be a
necessary component of the sales function
26Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
27Hedging - Importance of Tax Documentation - 1
- The tax issues for hedging transactions are
- Character of G/(L) capital loss versus ordinary
loss - Timing of G/(L) recognition consistency of
income recognition between hedged item and
hedging instrument - Two main types of tax hedging regimes
- Business hedging regime. This regime aims at
solving both timing and character issues
associated with hedges - Complete integration regime. Under this regime,
a transaction and a hedge are fully integrated
for most purposes of the tax code - There are, however, other tax hedging regimes
related to derivatives and hedging activities
28Hedging - Importance of Tax Documentation - 2
- The type of documentation varies depending on the
hedging objective and the applicable statute or
regulation. - Unlike FAS 133, hedge treatment is not really an
election - The basic IRS hedge documentation is similar, but
by no means identical to 133s - Description of the hedging instrument
- Description of the hedged item
- Nature of risk being hedged
- Particular documentation requirements for the
type of taxation regime used - Description of US Tax accounting method used
29Hedging - Importance of Tax Documentation - 3
- IRS examiners will routinely ask about the
taxpayers hedging policies and procedures - Auditors will have more info than in past
- A properly documented hedge will prevent
application of the straddle provisions - It prevents the IRS from having the ability to
characterize derivative losses as capital and
gains as ordinary - In CFC context, avoids creation of foreign
personal holding company income
30Hedging - Importance of Tax Documentation - 4
- Improper Documentation Whipsaw
- Failure to identify a transaction as a hedge
- The failure is binding on the taxpayer
- If there is no reasonable basis for not making
the identification, then gain from the hedging
transaction is ordinary, but loss will be capital - If a transaction is improperly identified as a
hedge - Identification is binding as to gain
- A loss on the transactions, will be a capital
loss, however - Similar rules apply in CFC context
31Tax Issues and Opportunities
- Leveraging Tax-Favored Investments
- Tax Basics of Foreign Tax Credit and Impact on
Funding - Impact of FX on Offshore Treasury Operations
- The Offshore Bank for Vendor Finance Operations
- Importance of Tax Documentation for Hedging
Transactions - Repatriation Issues
32Repatriation 1
- As long as deferral is maintained, taxpayers can
use low interest tax rate associated with
offshore operations to provide an EPS benefit - However, the inability to utilize excess cash
provides a funding cost - Common strategies used to access cash
- Factor receivables (only foreign receivables
though!) and other property sales, - Foreign tax credit planning
- Short-term intercompany loans
33Repatriation 2
- Factoring key issues
- Only foreign receivables avoid section 956
- What about receivables of U.S. branches of
foreign affiliates? - Need to avoid US trade or business
34Repatriation 3
- Foreign tax credit planning
- Use interest planning and C-T-B planning to
create chains of high and low taxed income - Dividend or make section 956 loans from high tax
chains
35Repatriation 4
- Loans from CFCs
- Single Short-Term Loan
- must be less than 3 months and paid off before
end of the quarter - Successive loans
- not outstanding at end of quarter
- must be 6 and 1/2 month break between loans
- End of quarter loans
- must not paid off with 30 days and no other loan
for 59 days by same CFC
36Peter Connors
- Tax partner at Orrick, Herrington Sutcliffe LLP
- Past Chairman, ABAs Tax Section Committee on
Financial Transactions - Most recent publications, The New Euro
Regulations, Journal of Bank Taxation (1999)
see also www.orrick.com - Author, BNA Portfolio on Section 475
- U.S. Editor, Derivatives Financial Instruments
- Previously, Tax Partner at Baker McKenzie, and
Director of International Capital Markets Tax
Services at Ernst Young - LL.M (Taxation) NYU Law School and J.D.,
University of Richmond - Phone (212) 506-5120 Email pconnors_at_orrick.com
37Treasury Best Practices Issues
Jeffrey Wallace, Managing Partner Greenwich
Treasury Advisors LLC
38Treasury Best Practices Issues
- Core principles for managing FX risk
- Corporate governance and centralized treasury
issues - A compendium of international treasury structures
- In-house banks
- Purchasing receivables without recourse versus
interco loans - Virtual Euro cash consolidation via your
interco netting system - Agency treasury management (outsourcing)
- The 21st Century MNC Treasury
39GTAs FX Benchmarking
- Started in 1998 with the Group of 31 Study
sponsored by General Motors - 31 MNCs with average sales of 50 billion
- Validated by a 1999 with 36 American MNCs with
average sales of 8 million - GM saw a need for establishing worldwide FX risk
standards for multinationals - The Group of 30s 1993 derivative standards were
written for banks - For MNCs, FX hedging is a non-core, non-profit
activity which needs different standards than
those appropriate for banks and institu-tional
investors.
40The Group of 31
41G31 Summary Results
- We found that a majority often a large majority
of the Group of 31 were following each of 12
core risk management principles that promoted - Measurable FX hedging objectives
- Accurate and timely information on how well those
hedging objectives were being achieved - Minimizing transactions costs
- Rigorous error and compliance checking
- Responsibility for senior management oversight
42Implementing the Principles
- To provide guidance in implementing these 12 risk
management principles, weve divided them into
three categories - Fundamental principles, which generally
applicable to all companies involved in FX
hedging - Volume-related principles, whose degree of
implementation is a function of how much trading
volume is being done - Risk-related principles, whose implementation is
also a function of how much risk is being managed
4312 Core Principles 1
4412 Core Principles 2
45Validation by 1999 Study
- The following year, we validated these principles
with a second group of 36 American MNCs,
including
46Volume-Related Practices
47Risk Categories
- We found we could use these risk dimensions to
divide the both the 1998 and 199 groups into
three risk categories
48Risk-Related Practices
49For More Information
- Go to www.greenwichtreasury.com to download
- The Group of 31 Report Core Principles for
Managing Multinational FX Risk (1999, Association
for Finance Professionals) - Describes each principle in more detail, with
benchmarking data from the Group of 31 study.
50Treasury Best Practices Issues
- Core principles for managing FX risk
- Corporate governance and centralized treasury
issues - A compendium of international treasury structures
- Centralizing cash and funding
- In-house banks (IHBs)
- Purchasing receivables without recourse versus
interco loans - Virtual Euro cash consolidation via your
interco netting system - Agency treasury management (outsourcing)
- The 21st Century MNC Treasury
51Corporate Governance Issues
- Four key questions about the allocation of
treasury management between the local
units/regional management and Parent Treasury - Who owns the cash?
- Who is responsible for funding/liquidity?
- Who runs the foreign exchange?
- Who is responsible for bank relations?
- Two challenges
- Making treasury responsive to the needs of the
operating units - Making operating units responsive to treasury
initiatives
52Decentralized Treasury Management 1
- Decentralized treasury management incurs
substantial costs in large MNCs - Buy/sell spreads on unnecessary borrowing when
there is excess cash in the group - Buy/sell spreads on offsetting FX positions
- Higher interest, FX, and cash management costs
due to non-professional management and
diseconomies of scale - Unnecessary taxes due to suboptimum unit capital
structures and neglected cross-border tax
arbitrage opportunities
53Decentralized Treasury Management 2
- Decentralized treasury management is also
- An inefficient allocation of local management
resources - Except for proximity, local management provides
little value-added to treasury management - Reduces the ability of the corporation to fully
mobilize all of its financial resources - Arguably, the role of local management is to
produce profits, not to manage profits
54How Responsibilities are Allocated
Base 64, G31 and FX99 Companies
55Treasury Best Practices Issues
- Core principles for managing FX risk
- Corporate governance and centralized treasury
issues - A compendium of international treasury structures
- Centralizing cash and funding
- In-house banks (IHBs)
- Purchasing receivables without recourse versus
interco loans - Virtual Euro cash consolidation via your
interco netting system - Agency treasury management (outsourcing)
- The 21st Century MNC Treasury
56Centralized FX Management Structures
57Cross-Unit Treasury Building Blocks
Distributed treasury staff, SPVs and banks
RTC Regional Treasury Center
58Cash Concentration Methods
59Treasury Best Practices Issues
- Core principles for managing FX risk
- Corporate governance and centralized treasury
issues - A compendium of international treasury structures
- Centralizing cash and funding
- In-house banks (IHBs)
- Purchasing receivables without recourse versus
interco loans - Virtual Euro cash consolidation via your
interco netting system - Agency treasury management (outsourcing)
- The 21st Century MNC Treasury
60Centralizing Cash/Funding 1
- The traditional approach is to use intercompany
advances and loans - Arms length pricing
- Interest subject to withholding tax
- Since loans cant be made upstream to parent
(imputed dividend), often intercompany loans are
made within the the off-shore companies - Multilateral lending can lead to a spaghetti
interco loan structure that can be extremely
difficult to manage - Bilateral lending with in in-house bank is best
practice
61Reasons for In-House Banks
- Maximize internal cash recycling
- Centralize international cash and FX management
in one unit with specialist expertise, reducing
staff at local units - Retain spreads in the IHB, instead of paying to
banks - Reduce transaction volume and bank charges
62Centralizing Cash/Funding 2
- Purchasing trade receivables without recourse
- Selling unit continues to collect
- Immediate bad debt deduction by seller
- No W/H tax on discount income due to non-recourse
nature (discount not considered interest) - Monthly purchases effectively provide evergreen
interco working capital funding - Funding the receivables with dollars covered with
forwards are often more cost-effective than local
funding, especially in emerging market countries - Minimizes thin cap problems due to reduced debt
63Centralizing Cash/Funding 3
64Overlay Bank Structure Issues
- Many, many accounts have to be set up
- Local red tape can be immense
- Need for daylight overdraft lines further
complicates the implementation - Parent guarantees
- Local units Board approvals
- No one will ever, ever do this again for another
bank
65Centralizing Cash/Funding 4
- Consolidate cash by piggy-backing off of the
existing interco netting system - Add the IHB to the netting system
- Units will excess cash make payments to IHB
- Units needing cash receive payments from IHB
- Monthly nettings with cash transfers and trade
payables probably pick up at least 60 of the
excess cash - Use the process to book settle the interco
payables - Weekly nettings with cash transfers only will
probably pick up 80 of the excess cash - No muss, no fuss, immediately implementable
66Agency Treasury Management 1
- Outsource the IHB transaction processing (not
risk management) - Major bank providers are AIB, BofA Citi, DB, JP
Morgan Chase - Non-bank providers include FTI, JM Huber
Financial Services - Internet providers are starting to develop
- Most are based in Dublin, having started with the
Dublin Docks IFSC's
67Agency Treasury Management 2
- Substantial care and forethought is needed in the
operating agreement with the provider - Must have service level guarantees
- Must be actively managed by Treasury, not
forgotten - Focus on output, not process
- Process is the providers job
- Treasury must be alert to changes in operating
environment - Cant expect provider to pro-active, looking for
what needs to be done
68Agency Treasury Management 3
- Use the providers system for parent treasury
transactions - Have them execute the FX hedging trades under
your direction - Have them do the FAS 133 accounting!
- And the performance analytics
69The 21st Century MNC Treasury 1
- Treasury works with and supports the business
units, not just another demander of information
from them - Risk management is disciplined and pro-active
with active business unit participation with the
hedging decision-making within policy - Clearly defined risk performance measures show
the value-added that Treasury provides - Truly centralized cash management and funding via
an IHB
70The 21st Century MNC Treasury 2
- Close co-operation with Tax generates tax savings
and lower after-tax cost of interest - Treasury has a higher level of internal
influence, no longer considered a cost center - Treasury staff have greater career opportunities
71Jeff Wallace
- Managing partner, founded GTA in 1992.
- Formerly, VP International Treasury at American
Express, Assistant Treasurer of Dun Bradstreet
and of Seagram, CPA with Price Waterhouse - Author of The G31 Report Core Principles for
Managing Multinational FX Risk, (AFP, 1999) - Editorial boards of International Treasurer,
Finance Treasury, and Treasury Management
International - Phone (203) 531-0835
- Email jeff.wallace_at_greenwichtreasury.com
72About GTA
- Ninth year, over 200 clients
- Dedicated to corporate treasury consulting
- Not affiliated with Greenwich Associates
- Best known for our benchmarking studies
- Visit www.gtallc.com for more details
73Tax Treasury Working Together
October 24, 2001 Orrick, Herrington Sutcliffe
LLP Greenwich Treasury Advisors LLC
74Tax and Treasury Working Together
- Tax Treasury are natural partners
- Common mistakes
- Recommendations
75Tax Treasury are Natural Partners
- Despite what Controllers may think, Tax and
Treasury are the core of Finance, with major PL
operating responsibilities - Interest, FX and Taxes
- Together, they are the denominator of the EVA
formula - Firm value Future Cash Flow ? WACC
- Managing WACC improves Firm Value
- Treasury provides the raw fuel money
necessary to execute many Tax planning
arrangements - Nearly all international transactions are an
exercise in international tax arbitrage - A focus on just reducing taxes can lead to
structures that have immovable cash or unpayable
debt
76Common Mistakes
- The Inadvertent Dealer
- Hedging with the Wrong Instrument
- Failed Hedging Identifications
- Failed Interest Expense Allocation
- Back to Back Loans Through An Active Subsidiary
- Tax planning with no exit strategies
77Tax Trap The Inadvertent Dealer
US
Hedge Co
US Subsidiary
Foreign Sub
- Transactions with US Subsidiary Probably not
dealer - Transaction with Foreign Subsidiary Hedge Co.
becomes a dealer - What if Hedge Co is an LLC?
- Protective Identification
78Failed Hedging Identifications
- Consequences described earlier
- Over reliance on GAAP designations and
determination of whether a transaction is a
derivative - Many designations are not elective for tax
purposes - Either adverse consequences for failed
designations or IRS can designate for the
taxpayer - Designations must also be made at CFC level
79CFC Functional Currency Borrowing
Loan
Bank
Interest
Assume CFC borrows from a third party bank. It
has 100 in Subpart F income and it has 100 in
operating income and 40 in interest
expense. Subpart F Income Non-Subpart F
Income Amount 100 100 Int. Expense (
20) ( 20) Net 80 80
80CFC FX Borrowing - No Designation
US
Currency Swap
FX Loan
CFC
Swap Counterparty
Interest
Assume CFC borrows from a third party bank. It
has 100 in Subpart F income and it has 100 in
operating income and 40 in interest expense. It
also has a currency loss of 20 on retirement of
the obligation, but a gain of 20 on termination
of the swap. Subpart F
Income Non-Subpart F Income Interest
FX Amount 100 100 Int. Expense ( 20)
(20) Retire of Debt (FX) ( 10)
(10) Curr Swap Gain (principal)
20 ____ Net 70 20 70
81Common Mistakes
- The Inadvertent Dealer
- Failed Hedging Identifications
- Hedging with the Wrong Instrument
- Failed Interest Expense Allocation
- Back to Back Loans Through An Active Subsidiary
- Tax planning with no exit strategies
82CFC Functional Currency Borrowing Hedged with
Swap
Loan
Swap Counterparty
Floating
Floating Interest
Fixed
Assume it has 60 in interest expense and 20 in
swap net income. Subpart F Income Non-Subpart
F Income Interest Property Amount 100
100 Int. Expense ( 30) ( 30) Swap Income
20 0 Net
90 70
83CFC Functional Currency Borrowings Hedged with
Forward Contract
Loan
Short FuturesContract
Interest
Assume CFC borrows from a third party bank. It
has 100 in Subpart F income and it has 100 in
operating income and 60 in interest expense.
Assume that it also has 20 in hedging gains from
futures contracts. Subpart F
Income Non-Subpart F Income Interest Property
Gains Amount 100 100 Hedging Gains
20 Int. Expense ( 30) _____ (
30) Net 70 20 70
84Common Mistakes
- The Inadvertent Dealer
- Failed Hedging Identifications
- Hedging with the Wrong Instrument
- Failed Interest Expense Allocation
- Back to Back Loans Through An Active Subsidiary
- Tax planning with no exit strategies
85Common Mistakes
- Failed Interest Expense Allocation
- An election must be made to allocate gain from
hedging transactions against interest expense - Without the election, hedging costs are treated
like interest expense, but gains do not reduce
it
86Common Mistakes
- The Inadvertent Dealer
- Failed Hedging Identifications
- Hedging with the Wrong Instrument
- Failed Interest Expense Allocation
- Back to Back Loans Through An Active Subsidiary
- Tax planning with no exit strategies
87Back-to-Back Loans
US
Loan
Loan
CFC
Interest
Interest
Assume CFC lends 2,000 to a non-CFC. It has 100
in Subpart F income and it has 100 in operating
income and 20 in interest income. It also
borrows 2,000 and incurs 100 of interest
expense. Subpart F Income Non-Subpart F
Income Amount 100 100 Int. Income
20 Int. Expense (10) (10) Net 110
90
88Tax Planning with No Exit Strategies
- Creating international holding companies or
selling technology/intellectual property rights
to an entity in a tax haven or very low tax rate
environment - APB 23 is used to avoid providing for deferred US
taxes on the income - Money goes in tax-free for both book and tax, but
cant come out to the US parent without incurring
US taxes and book taxes - The foreign affiliate cash flow is effectively
locked in the entity meanwhile the US parent has
substantial debt that cannot be repaid from
domestic-sourced income, especially taking into
account funding dividends - Its a devils bargain
89Recommendations 1
- Regular meetings between Tax and Treasury,
especially on these topics - Treasurys funding strategies
- Taxs planning strategies and objectives
- Tight coordination on derivative hedge
documentation - For both FAS 133 and IRS/local authorities
- Dedicated people in both departments responsible
for the relationship - Acts as an observer in the others departmental
meetings - Active Tax participation on the Companys
Financial Risk Committee
90Recommendations 2
- Annual joint planning on
- Utilizing excess FTC/managing FTC neutrality
- Repatriation issues
- After-tax cost of debt
- Interco leading and lagging
- Dealing with excess cash
- Domestic interest allocation to foreign
investments - Utilizing local affiliate tax-loss carrryforwards
- Thin cap issues
91Recommendations 3
- Joint tax/treasury departmental targets
- Specific tax savings
- After-tax cost of interest savings
- Double counting of results in each departments
goals