SlideShare ist ein Scribd-Unternehmen logo
1 von 29
ICSA Guernsey
Branch
Stay Ahead of the
Game in Tax
Annual Tax Update
2016
Alison Vine
17 May 2016
• Tax Transparency
− FATCA Recap
− CRS
• Building up the heat – tax scrutiny
− UK corporate criminal offence of failure to prevent the facilitation of tax evasion
− UK civil sanctions for enablers of offshore evasion
• Reform of UK domicile rules
− Formerly domiciled residents
− Long- term UK residents
• Taxation of UK property –
− ATED changes from 2016
− SDLT changes from 2016
− Proposed IHT changes from 2017
− Rental property changes
ICSA Tax update 2016
Agenda
FATCA Recap
ICSA Tax update 2016
FATCA Overview
Relevant Timings
Notes
• 1 – 30 June 2015 – classification of pre-existing individual high value accounts completed
• 2 – 30 June 2016 – classification of all other pre-existing accounts
• 3 – 30 June 2015 – 2014 US FATCA reporting
• 4 – 30 June 2016 – 2015 US FATCA reporting, 2014 and 2015 UK FATCA Reporting
Workstream 2014 2015 2016
Phase1
Classification of internal entities
Classification of client entities
Implement new onboarding procedures
Strategy, communications and governance
Registration of FIs with IRS
Phase
2
Customer classification and due diligence
Reporting
30 June 2014 (31 Dec 2014 for
entities under US FATCA)
22 Dec 2014 in an IGA jurisdiction
1 2
3 4
ICSA Tax update 2016
FATCA – the current agenda as of May 2016
• Finalising reportable account populations
• XML solutions
• Reporting portal logistics
• Client communications (Increase in customer awareness)
• Consideration of FATCA as a process
ICSA Tax update 2016
CRS
ICSA Tax update 2016
The Regulatory Timeline
CRS is being implemented on a very short timeframe and is
replacing UK FATCA
CRS
US
FATCA
Go live: 01/07/14
UK
FATCA
2014 2015 2016 2017
June
Annual Reporting
Taken over by CRS on 01/01/16
Go live: 01/01/16
ICSA Tax update 2016
CRS in the Crown Dependencies
• For FATCA we saw largely common guidance notes produced across the Crown
Dependencies.
• For CRS, the islands are producing separate guidance.
• Both Jersey and Guernsey released their CRS guidance notes in December
2015. Jersey released a second draft in February 2016, and IOM issued their
CRS guidance in March 2016.
• There is a difference at a policy level between the guidance. Jersey are
adopting an approach such that the existing FATCA guidance can continue to be
applied for CRS (provided it does not frustrate the purpose of the agreement).
• The Guernsey approach is to broadly follow the extensive OECD materials
rather than the existing local FATCA guidance.
ICSA Tax update 2016
Building up the Heat
ICSA Tax update 2016
Building up the Heat
In advance of UK and global reporting through CRS a number of measures are
being put in place to:
• Facilitate last minute reporting of undisclosed offshore accounts/ investments
etc
• Impose criminal and civil penalties in the UK for the facilitation of offshore
evasion
• Register people with significant control of UK companies (from June 2016)
• Register ultimate beneficial ownership as the legal owner of UK land ( from
June 2016)
• Facilitate government to government sharing of information on beneficial
ownership with central register of beneficial control ( 2017)
ICSA Tax update 2016
Consultation issued on 16 July 2015
On same day 3 more consultations issued, all in respect of ‘Tackling Offshore tax evasion’:
• Civil sanctions for enablers of offshore evasion
• Strengthening civil deterrents for offshore evaders
• A new criminal offence for offshore evaders (further consultation after first one in August
2014)
Foreword in each explains how large amount of information will become available to HMRC
under UK FATCA and CRS. ‘HMRC has given people ample opportunity to regularise
their affairs. In advance of HMRC receiving this new data there will be one last chance
for evaders to come forward and put their affairs in order’.
All consultations closed on 8 October 2015.
Draft legislation was included with the Summary of Responses published in December 2015.
Further consultation issued 17 April 2016 concerning the specific legislation and guidance
required. Closing date 10 July 2016.
A New Corporate Criminal Offence of Failure to
Prevent the Facilitation of Evasion
A New Corporate Criminal Offence of Failure to
Prevent the Facilitation of Evasion
Government plans to introduce a new criminal offence which is committed when a
corporation fails to prevent their agent from criminally facilitating tax evasion and the
corporation cannot show that it took reasonable steps to prevent this.
Stated aim is to ensure
‘that corporations foster a positive corporate culture of compliance and put in place systems
to prevent, detect and report criminal facilitation of tax evasion by their agents’.
Corporates are normally charged in the UK through the ‘identification doctrine’ or ‘directing
mind theory’.
The employees who HMRC believe fall into the directing mind category are:
The board of directors, the managing directors ‘and perhaps the senior officers of a
company who carry out functions of management and speak and act as the company’.
A New Corporate Criminal Offence of Failure to
Prevent the Facilitation of Evasion
The offence will apply to evasion of UK
• Income tax
• Capital gains tax
• Inheritance tax
• VAT
Actions which will be regarded as facilitation of offences may include:
• Acting as a broker/conduit
• Providing planning and advice
• Delivery of infrastructure
• Maintenance of infrastructure
• Financial assistance
A New Corporate Criminal Offence of Failure to
Prevent the Facilitation of Evasion
Before a corporate criminal liability can be considered it has to be proved, beyond
reasonable doubt,:
• An individual has committed tax evasion, and
• That individual has been deliberately aided and abetted in the tax evasion by an agent of
the corporate, and
• The corporation failed to take reasonable steps to prevent this.
Where the corporate can demonstrate that it has, on the balance of probabilities, put in place
‘reasonable procedures’ (per Bribery Act) to prevent its agents facilitating tax evasion then it
has no case to answer.
In considering what reasonable procedures might be, these may include:
• compliance with any applicable published guidance,
• contractual terms for staff
• training provided to staff,
• steps taken to monitor and ensure compliance.
• UK government recognised it was difficult to tackle the problem of enablers
using criminal powers alone.
• The civil sanctions will complement the criminal powers.
• The civil penalty will be linked to the amount of tax which the enabler helped
the evader to evade.
• Current suggestion appears to be a maximum penalty of 100% of the tax
evaded, with this being reduced based on
• The sanctions will also include naming provisions.
Civil Sanctions for Enablers of Offshore Evasion
Reform of UK Domicile Rules
ICSA Tax update 2016
Introduction
Two key announcements in Summer 2015 Budget:
From April 2017:
1. Those who have a strong connection with the UK having a domicile of origin
at birth should not be able to access the remittance basis regime if they return
and become UK resident here, even if they have lost that UK domicile as a
matter of law (‘Formerly Domiciled Residents’).
2. Those who have been resident in the UK for “more than 15 out of the past 20
tax years” will be treated as deemed UK domiciled for all tax purposes (‘Long-
term UK residents’).
A consultation document in respect of these points was issued on 30 September
2015 with responses requested by 11 November 2015.
It was expected legislation would be included in Finance Act 2016, however, there
is nothing in the Finance Bill.
© 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
Formerly Domiciled Residents
• Formerly domiciled residents are UK resident individuals who were born in
the UK and have a UK domicile of origin.
• Individuals in this category will be taxable on their worldwide income and
gains from the point when they become UK resident.
• For IHT purposes their estates will be subject to charge on worldwide assets.
• The consultation document proposed a grace period for IHT purposes only,
such that individuals will only be deemed domiciled for IHT if they have been UK
resident in one of the two preceding tax years.
• Excluded property trusts will be brought into the relevant property regime (ie
treated as made by a UK domiciled), so trustees will have IHT reporting
obligations. There is likely to be no grandfathering. As a result an affected trust
may be subject to IHT for events on or after 6 April 2017 with a grace period
only in respect of the residence rule.
© 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
Long-Term UK Residents
• Individuals who are resident in at least 15 of the previous 20 tax years will be deemed to
be UK domiciled for all tax purposes.
• If deemed domiciled:
o UK income and gains taxable as they arise – no change
o No remittance basis for foreign income and gains.
o Worldwide assets within scope of IHT.
• Per Budget 2016, a rebasing of assets at 5 April 2017 will apply if become deemed
domiciled on 6 April 2017, but details and the extent to which rebasing will apply is unclear.
• Deemed domicile applies even if non-UK resident in year 16.
• Could be deemed domiciled after being UK resident for 13 full tax years and two part tax
years.
• May need to be non-UK resident for 6 whole tax years to break deemed domicile.
• Remittance basis still available pre-deemed domicile, but remittance basis income/gains
taxable if remitted later.
• Grandfathering may apply for those who “left” before the Summer 2015 Budget (8 July
2015).
© 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
All Deemed UK Doms
Assets held through Offshore Company
Company
• UK income received by company may be taxable on
shareholder (no change)
• UK gains made by company may be taxable on shareholder
when they arise if own >25% shares
• Foreign income and gains may be taxable on the same
basis under UK anti-avoidance provisions as they arise
• Value of shares may be rebased to 5 April 2017 value if
become deemed domiciled on 6 April 2017 under long-term
UK resident rule
• The value of the shares will be part of the individual’s estate
for IHT
• Offshore companies still provide protection for non-UK
residents and UK resident non-doms to hold UK assets,
except UK residential property.
© 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
Taxation of UK Property
ICSA Tax update 2016
Residential Property
Changes Since 2012
April 2013
20 March
2014
4 Dec 2014 April 2015
•ATED and
ATED-
related CGT
introduced
for
residential
properties
worth >
£2m;
•15% SDLT
for ATED
properties
(from 21
March 2012)
April 2016
6 April
2017
•15% SDLT
for ATED
properties
worth more
than £500k
•SDLT rates
become
progressive
(but not for
15% rate)
•ATED
threshold
lowered to
£1m.
•ATED
charges
increased by
50%
•NRCGT
introduced.
•LBTT
replaces
SDLT in
Scotland
•ATED
threshold
lowered to
£500k
•Higher rates
of SDLT
(extra 3%)
for
purchases
(for more
than
£40,000) of
buy to let or
second
homes
•Look-through
of opaque
structures for
IHT purposes
•SDLT filing and
payment
deadlines may
reduce from 30
to 14 days
ICSA Tax update 2016
Annual Tax on Enveloped Dwellings (ATED)
2016 Changes
• From 1 April 2016 the charge applies to dwellings worth £500k to £1m too.
• The charge for 2016/17 was £3,500.
• Return and payment for 2016/17 were due by 30 April 2016.
• The valuation date is 1 April 2012 or later (if purchased after that date). Next
valuation date 1 April 2017.
• The same rules apply to this category as to the £2m+ charges already in
place.
• Residential properties which fall within ATED, worth £500k or above,
purchased after 20 March 2014 by an ‘envelope’, will be subject to the
higher rate of SDLT of 15%.
• From 1 April 2016 reliefs (from ATED and 15% SDLT) extended to equity
release schemes, property development activities and properties occupied
by employees.
SDLT
Recent Changes
•From 4 December 2014 SDLT on the purchase of residential property only will be
calculated based on scale rates rather than the ‘slab’ system.
•From 1 April 2016 an additional 3% applies on the purchase of buy to let or second homes
(for values over £40,000). Exemptions apply for corporates or funds with more than 15
properties.
•Consultation expected on reducing SDLT filing and payment window from 30 to 14 days
(from 2017)
£0 - £125,000 0%
£125,000 - £250,000 2%
£250,001 - £925,000 5%
£925,001 -
£1,500,000
10%
£1,500,001 upwards 12%
UK Residential Property – IHT Change
Summer Budget 2015 Proposal
From 6 April 2017 the government intends to bring all UK residential property held
directly or indirectly by foreign domiciled persons into charge for IHT purposes,
even when the property is owned through an indirect structure such as an offshore
company or partnership.
• The changes will be the subject of a consultation document which is expected to
be released this year.
• The intention is that the legislation will be contained in the 2017 Finance Act, but
that measures will commence from 6 April 2017.
• Affected individuals/entities may wish to consider de-enveloping, particularly if
double charges may arise.
• A specific relief for capital gains tax and stamp duty land tax on de-enveloping
may be introduced.
ICSA Tax update 2016
Replacement of Domestic Items Relief
• Wear and tear allowance allows (broadly) a 10% deduction from gross rents
where furnished properties are let, regardless of expenditure.
• Wear and tear allowance has been abolished with effect from 6 April 2016 for
individuals and 1 April 2016 for companies.
• It has been replaced with a deduction based on costs incurred on replacing
furniture, appliances and kitchenware.
• The new relief applies to part and unfurnished residential properties, in
addition to furnished properties.
• The new relief will increase administration required by landlords.
ICSA Tax update 2016
Rental Properties
Finance Cost Restriction
• It was previously announced that full relief for financing costs paid in respect of
let residential property will be gradually replaced with a deduction of 20% of the
amount paid (higher rates of relief may currently apply where the property is
owned by an individual or direct at trust level).
• In particular, this applies to mortgage interest.
• The change will be phased in from 6 April 2017, and will apply in full from 6
April 2020.
• In some circumstances, as full relief will be unavailable, the tax liability on
rental income could exceed the economic profit.
ICSA Tax update 2016
Rental Properties
Contact Details
Alison Vine
Tax Director
01481 703264
avine@deloitte.co.uk
ICSA Tax update 2016
Martin Popplewell
Tax Director
01481 703229
mjpopplewell@deloitte.co.uk
Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited (“DTTL”), a UK private company limited by guarantee, and its network of member firms, each of
which is a legally separate and independent entity. Please see www.deloitte.co.uk/about for a detailed description of the legal structure of DTTL and its member firms.
Deloitte LLP is the United Kingdom member firm of DTTL.
This publication has been written in general terms and therefore cannot be relied on to cover specific situations; application of the principles set out will depend upon the
particular circumstances involved and we recommend that you obtain professional advice before acting or refraining from acting on any of the contents of this publication.
Deloitte LLP would be pleased to advise readers on how to apply the principles set out in this publication to their specific circumstances. Deloitte LLP accepts no duty of
care or liability for any loss occasioned to any person acting or refraining from action as a result of any material in this publication.
© 2016 Deloitte LLP. All rights reserved.
Deloitte LLP is a limited liability partnership registered in England and Wales with registered number OC303675 and its registered office at 2 New Street Square, London
EC4A 3BZ, United Kingdom. Tel: +44 (0) 20 7936 3000 Fax: +44 (0) 20 7583 1198.

Weitere ähnliche Inhalte

Was ist angesagt?

Exchange of Information & Substance
Exchange of Information & Substance Exchange of Information & Substance
Exchange of Information & Substance Eurofast
 
US desk quarterly newsletter - December 2016 edition
US desk quarterly newsletter - December 2016 editionUS desk quarterly newsletter - December 2016 edition
US desk quarterly newsletter - December 2016 editionVesko Petkov
 
Enforcement of Foreign Judgments, Ireland 2018
Enforcement of Foreign Judgments, Ireland 2018 Enforcement of Foreign Judgments, Ireland 2018
Enforcement of Foreign Judgments, Ireland 2018 Matheson Law Firm
 
Tax Controversy, Ireland 2018
Tax Controversy, Ireland 2018 Tax Controversy, Ireland 2018
Tax Controversy, Ireland 2018 Matheson Law Firm
 
alterDomus Malta Newsletter
alterDomus Malta NewsletteralterDomus Malta Newsletter
alterDomus Malta NewsletterChris Casapinta
 
International Tax For SMEs September 2011 Abbreviated
International Tax For SMEs September 2011 AbbreviatedInternational Tax For SMEs September 2011 Abbreviated
International Tax For SMEs September 2011 Abbreviatedsarogers99
 
Transfer Pricing, Ireland 2018
Transfer Pricing, Ireland 2018 Transfer Pricing, Ireland 2018
Transfer Pricing, Ireland 2018 Matheson Law Firm
 
Residence Permit in lithuania
Residence Permit in lithuaniaResidence Permit in lithuania
Residence Permit in lithuaniaLTIP.EU
 
Francis Clark Tax Consultancy - London Conference 2018
Francis Clark Tax Consultancy - London Conference 2018Francis Clark Tax Consultancy - London Conference 2018
Francis Clark Tax Consultancy - London Conference 2018PKF Francis Clark
 
Carried interest - UK and US developments
Carried interest - UK and US developmentsCarried interest - UK and US developments
Carried interest - UK and US developmentsDarrin Henderson
 
Financial-institutions-landscape
Financial-institutions-landscapeFinancial-institutions-landscape
Financial-institutions-landscapeMatthew Rees
 
Dutch tax saving possibilities for Ukrainian MNC’s. Juan Telting
Dutch tax saving possibilities for Ukrainian MNC’s. Juan TeltingDutch tax saving possibilities for Ukrainian MNC’s. Juan Telting
Dutch tax saving possibilities for Ukrainian MNC’s. Juan TeltingICF Legal Service
 
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)Baker & McKenzie Poland
 
Association of the Latin American and the Caribbean Registrars
Association of the Latin American and the Caribbean RegistrarsAssociation of the Latin American and the Caribbean Registrars
Association of the Latin American and the Caribbean RegistrarsCorporate Registers Forum
 
Global Banking Financial Policy Review 2016 (Cayman Islands)
Global Banking  Financial Policy Review 2016 (Cayman Islands)Global Banking  Financial Policy Review 2016 (Cayman Islands)
Global Banking Financial Policy Review 2016 (Cayman Islands)Scott Macdonald
 
Tax Alert 164 February 2017
Tax Alert 164 February 2017Tax Alert 164 February 2017
Tax Alert 164 February 2017Loyens & Loeff
 

Was ist angesagt? (20)

Exchange of Information & Substance
Exchange of Information & Substance Exchange of Information & Substance
Exchange of Information & Substance
 
US desk quarterly newsletter - December 2016 edition
US desk quarterly newsletter - December 2016 editionUS desk quarterly newsletter - December 2016 edition
US desk quarterly newsletter - December 2016 edition
 
Enforcement of Foreign Judgments, Ireland 2018
Enforcement of Foreign Judgments, Ireland 2018 Enforcement of Foreign Judgments, Ireland 2018
Enforcement of Foreign Judgments, Ireland 2018
 
Tax Controversy, Ireland 2018
Tax Controversy, Ireland 2018 Tax Controversy, Ireland 2018
Tax Controversy, Ireland 2018
 
alterDomus Malta Newsletter
alterDomus Malta NewsletteralterDomus Malta Newsletter
alterDomus Malta Newsletter
 
International Tax For SMEs September 2011 Abbreviated
International Tax For SMEs September 2011 AbbreviatedInternational Tax For SMEs September 2011 Abbreviated
International Tax For SMEs September 2011 Abbreviated
 
Transfer Pricing, Ireland 2018
Transfer Pricing, Ireland 2018 Transfer Pricing, Ireland 2018
Transfer Pricing, Ireland 2018
 
Residence Permit in lithuania
Residence Permit in lithuaniaResidence Permit in lithuania
Residence Permit in lithuania
 
Francis Clark Tax Consultancy - London Conference 2018
Francis Clark Tax Consultancy - London Conference 2018Francis Clark Tax Consultancy - London Conference 2018
Francis Clark Tax Consultancy - London Conference 2018
 
Carried interest - UK and US developments
Carried interest - UK and US developmentsCarried interest - UK and US developments
Carried interest - UK and US developments
 
Financial-institutions-landscape
Financial-institutions-landscapeFinancial-institutions-landscape
Financial-institutions-landscape
 
Dutch tax saving possibilities for Ukrainian MNC’s. Juan Telting
Dutch tax saving possibilities for Ukrainian MNC’s. Juan TeltingDutch tax saving possibilities for Ukrainian MNC’s. Juan Telting
Dutch tax saving possibilities for Ukrainian MNC’s. Juan Telting
 
International Tax Planning
International Tax PlanningInternational Tax Planning
International Tax Planning
 
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)
Baker & McKenzie's Doing Business in Poland - Chapter 5 (Tax System)
 
Association of the Latin American and the Caribbean Registrars
Association of the Latin American and the Caribbean RegistrarsAssociation of the Latin American and the Caribbean Registrars
Association of the Latin American and the Caribbean Registrars
 
Global Banking Financial Policy Review 2016 (Cayman Islands)
Global Banking  Financial Policy Review 2016 (Cayman Islands)Global Banking  Financial Policy Review 2016 (Cayman Islands)
Global Banking Financial Policy Review 2016 (Cayman Islands)
 
BEPS and the EU - Keep Calm and Carry On!
BEPS and the EU - Keep Calm and Carry On!BEPS and the EU - Keep Calm and Carry On!
BEPS and the EU - Keep Calm and Carry On!
 
QNUPS Presentation P-SML
QNUPS Presentation P-SMLQNUPS Presentation P-SML
QNUPS Presentation P-SML
 
Tax Alert 164 February 2017
Tax Alert 164 February 2017Tax Alert 164 February 2017
Tax Alert 164 February 2017
 
global debt fatca 1iga Ey swiss-regulatory-banking-update2016
global debt fatca 1iga Ey swiss-regulatory-banking-update2016global debt fatca 1iga Ey swiss-regulatory-banking-update2016
global debt fatca 1iga Ey swiss-regulatory-banking-update2016
 

Andere mochten auch

Heal ohio conference-poster
Heal ohio conference-posterHeal ohio conference-poster
Heal ohio conference-posterSudeer K
 
Conversion clickz
Conversion clickzConversion clickz
Conversion clickzAnju Yadav
 
Neurotoxicity assay using High Content Screening technology
Neurotoxicity assay using High Content Screening technologyNeurotoxicity assay using High Content Screening technology
Neurotoxicity assay using High Content Screening technologyHCS Pharma
 
In Stadium Fnb Sales Plan
In Stadium Fnb Sales PlanIn Stadium Fnb Sales Plan
In Stadium Fnb Sales PlanTaedy Kang
 
CARite Culture & Values
CARite Culture & ValuesCARite Culture & Values
CARite Culture & ValuesCARite
 
[우앙파티] 언남고등학교 - 안전계단
[우앙파티] 언남고등학교 - 안전계단[우앙파티] 언남고등학교 - 안전계단
[우앙파티] 언남고등학교 - 안전계단oeclab
 
Hands-On Mobile App Testing
Hands-On Mobile App TestingHands-On Mobile App Testing
Hands-On Mobile App TestingDaniel Knott
 
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey Results
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey ResultsExclusive Presentation — 2015 Strategic Diversity Measurement Survey Results
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey ResultsHuman Capital Media
 
SK플래닛 M&C부문 D-spark #6 Social TV
SK플래닛 M&C부문 D-spark #6 Social TVSK플래닛 M&C부문 D-spark #6 Social TV
SK플래닛 M&C부문 D-spark #6 Social TVkevin lee
 
Agile - The Xtreme Labs Way
Agile - The Xtreme Labs WayAgile - The Xtreme Labs Way
Agile - The Xtreme Labs WayAchievers Tech
 
Accessibility: A Journey to Accessible Rich Components
Accessibility: A Journey to Accessible Rich ComponentsAccessibility: A Journey to Accessible Rich Components
Accessibility: A Journey to Accessible Rich ComponentsAchievers Tech
 
Art House Convergence Workshop
Art House Convergence WorkshopArt House Convergence Workshop
Art House Convergence WorkshopBeth Kanter
 

Andere mochten auch (16)

Heal ohio conference-poster
Heal ohio conference-posterHeal ohio conference-poster
Heal ohio conference-poster
 
Arturo lorandi
Arturo lorandi Arturo lorandi
Arturo lorandi
 
Home made 9 ga
Home made 9 gaHome made 9 ga
Home made 9 ga
 
Conversion clickz
Conversion clickzConversion clickz
Conversion clickz
 
Neurotoxicity assay using High Content Screening technology
Neurotoxicity assay using High Content Screening technologyNeurotoxicity assay using High Content Screening technology
Neurotoxicity assay using High Content Screening technology
 
In Stadium Fnb Sales Plan
In Stadium Fnb Sales PlanIn Stadium Fnb Sales Plan
In Stadium Fnb Sales Plan
 
CARite Culture & Values
CARite Culture & ValuesCARite Culture & Values
CARite Culture & Values
 
poster
posterposter
poster
 
[우앙파티] 언남고등학교 - 안전계단
[우앙파티] 언남고등학교 - 안전계단[우앙파티] 언남고등학교 - 안전계단
[우앙파티] 언남고등학교 - 안전계단
 
Hands-On Mobile App Testing
Hands-On Mobile App TestingHands-On Mobile App Testing
Hands-On Mobile App Testing
 
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey Results
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey ResultsExclusive Presentation — 2015 Strategic Diversity Measurement Survey Results
Exclusive Presentation — 2015 Strategic Diversity Measurement Survey Results
 
SK플래닛 M&C부문 D-spark #6 Social TV
SK플래닛 M&C부문 D-spark #6 Social TVSK플래닛 M&C부문 D-spark #6 Social TV
SK플래닛 M&C부문 D-spark #6 Social TV
 
Anatomy of a Movement
Anatomy of a Movement Anatomy of a Movement
Anatomy of a Movement
 
Agile - The Xtreme Labs Way
Agile - The Xtreme Labs WayAgile - The Xtreme Labs Way
Agile - The Xtreme Labs Way
 
Accessibility: A Journey to Accessible Rich Components
Accessibility: A Journey to Accessible Rich ComponentsAccessibility: A Journey to Accessible Rich Components
Accessibility: A Journey to Accessible Rich Components
 
Art House Convergence Workshop
Art House Convergence WorkshopArt House Convergence Workshop
Art House Convergence Workshop
 

Ähnlich wie ICSA Guernsey Branch Tax Seminar 2016

Non-dom briefing paper
Non-dom briefing paperNon-dom briefing paper
Non-dom briefing paperChris P Smith
 
Getting the Deal Through: Tax Controversy 2017
Getting the Deal Through: Tax Controversy 2017Getting the Deal Through: Tax Controversy 2017
Getting the Deal Through: Tax Controversy 2017Matheson Law Firm
 
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: Tax
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: TaxThe Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: Tax
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: TaxMatheson Law Firm
 
CIPD Employment Law Update slideshow May 16
CIPD Employment Law Update slideshow May 16CIPD Employment Law Update slideshow May 16
CIPD Employment Law Update slideshow May 16Ben Power
 
Global Opportunities Report
Global Opportunities ReportGlobal Opportunities Report
Global Opportunities ReportEffie Karamani
 
International Indirect Tax Update - March 2016
International Indirect Tax Update - March 2016International Indirect Tax Update - March 2016
International Indirect Tax Update - March 2016Alex Baulf
 
CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016Russell Evans
 
CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016Delia Francis
 
What's New in Accounting and Tax - June 2016
What's New in Accounting and Tax - June 2016What's New in Accounting and Tax - June 2016
What's New in Accounting and Tax - June 2016Andrew Cornes
 
TaxAlert2016No20
TaxAlert2016No20TaxAlert2016No20
TaxAlert2016No20Fran Viau
 
VAT Club: International Indirect Tax update - September 2015
VAT Club:  International Indirect Tax update - September 2015VAT Club:  International Indirect Tax update - September 2015
VAT Club: International Indirect Tax update - September 2015Alex Baulf
 
What does the Summer 2015 Budget mean for you?
What does the Summer 2015 Budget mean for you? What does the Summer 2015 Budget mean for you?
What does the Summer 2015 Budget mean for you? Rajani and Co
 
Fund Regulation - Global Perspectives' Key Updates for 2015
Fund Regulation - Global Perspectives' Key Updates for 2015 Fund Regulation - Global Perspectives' Key Updates for 2015
Fund Regulation - Global Perspectives' Key Updates for 2015 GECKO Governance
 
Robb Ferguson March 2015 Budget Summary
Robb Ferguson March 2015 Budget SummaryRobb Ferguson March 2015 Budget Summary
Robb Ferguson March 2015 Budget SummaryGraham Cantlay
 
Corr & Corr Budget Update 2015
Corr & Corr Budget Update 2015Corr & Corr Budget Update 2015
Corr & Corr Budget Update 2015Corrand Corr
 

Ähnlich wie ICSA Guernsey Branch Tax Seminar 2016 (20)

Non-dom briefing paper
Non-dom briefing paperNon-dom briefing paper
Non-dom briefing paper
 
Budget 2015
Budget 2015Budget 2015
Budget 2015
 
Getting the Deal Through: Tax Controversy 2017
Getting the Deal Through: Tax Controversy 2017Getting the Deal Through: Tax Controversy 2017
Getting the Deal Through: Tax Controversy 2017
 
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: Tax
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: TaxThe Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: Tax
The Legal 500 and The In-House Lawyer Comparative Legal Guide Ireland: Tax
 
CIPD Update May 2016
CIPD Update May 2016CIPD Update May 2016
CIPD Update May 2016
 
CIPD Employment Law Update slideshow May 16
CIPD Employment Law Update slideshow May 16CIPD Employment Law Update slideshow May 16
CIPD Employment Law Update slideshow May 16
 
Global Opportunities Report
Global Opportunities ReportGlobal Opportunities Report
Global Opportunities Report
 
International Indirect Tax Update - March 2016
International Indirect Tax Update - March 2016International Indirect Tax Update - March 2016
International Indirect Tax Update - March 2016
 
CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016
 
CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016CCH_Federal-Budget_Report_2016
CCH_Federal-Budget_Report_2016
 
What's New in Accounting and Tax - June 2016
What's New in Accounting and Tax - June 2016What's New in Accounting and Tax - June 2016
What's New in Accounting and Tax - June 2016
 
2016 Budget Report
2016 Budget Report2016 Budget Report
2016 Budget Report
 
Key tax dates for 2016-17
Key tax dates for 2016-17Key tax dates for 2016-17
Key tax dates for 2016-17
 
TaxAlert2016No20
TaxAlert2016No20TaxAlert2016No20
TaxAlert2016No20
 
VAT Club: International Indirect Tax update - September 2015
VAT Club:  International Indirect Tax update - September 2015VAT Club:  International Indirect Tax update - September 2015
VAT Club: International Indirect Tax update - September 2015
 
What does the Summer 2015 Budget mean for you?
What does the Summer 2015 Budget mean for you? What does the Summer 2015 Budget mean for you?
What does the Summer 2015 Budget mean for you?
 
Tax news - April 2015
Tax news  - April 2015Tax news  - April 2015
Tax news - April 2015
 
Fund Regulation - Global Perspectives' Key Updates for 2015
Fund Regulation - Global Perspectives' Key Updates for 2015 Fund Regulation - Global Perspectives' Key Updates for 2015
Fund Regulation - Global Perspectives' Key Updates for 2015
 
Robb Ferguson March 2015 Budget Summary
Robb Ferguson March 2015 Budget SummaryRobb Ferguson March 2015 Budget Summary
Robb Ferguson March 2015 Budget Summary
 
Corr & Corr Budget Update 2015
Corr & Corr Budget Update 2015Corr & Corr Budget Update 2015
Corr & Corr Budget Update 2015
 

Mehr von Institute of Chartered Secretaries and Administrators

Mehr von Institute of Chartered Secretaries and Administrators (20)

Board effectiveness and performance beyond the annual evaluation_ICSA Dublin ...
Board effectiveness and performance beyond the annual evaluation_ICSA Dublin ...Board effectiveness and performance beyond the annual evaluation_ICSA Dublin ...
Board effectiveness and performance beyond the annual evaluation_ICSA Dublin ...
 
ICSA Jersey Conference 2019 - Updated presentation slides
ICSA Jersey Conference 2019 - Updated presentation slidesICSA Jersey Conference 2019 - Updated presentation slides
ICSA Jersey Conference 2019 - Updated presentation slides
 
ICSA Guernsey Conference 2019 - Updated presentation slides
ICSA Guernsey Conference 2019 - Updated presentation slidesICSA Guernsey Conference 2019 - Updated presentation slides
ICSA Guernsey Conference 2019 - Updated presentation slides
 
Risk Management and the Company Secretary
Risk Management and the Company Secretary Risk Management and the Company Secretary
Risk Management and the Company Secretary
 
Board effectiveness and performance beyond the annual evaluation
Board effectiveness and performance beyond the annual evaluationBoard effectiveness and performance beyond the annual evaluation
Board effectiveness and performance beyond the annual evaluation
 
ICSA qualifying programme update 2019
ICSA qualifying programme update 2019 ICSA qualifying programme update 2019
ICSA qualifying programme update 2019
 
ICSA CPD - Cyber breaches
ICSA CPD -   Cyber breachesICSA CPD -   Cyber breaches
ICSA CPD - Cyber breaches
 
ICSA Competency Framework presentation for Guernsey branch - 26 February 2019
ICSA Competency Framework presentation for Guernsey branch - 26 February 2019ICSA Competency Framework presentation for Guernsey branch - 26 February 2019
ICSA Competency Framework presentation for Guernsey branch - 26 February 2019
 
ICSA Ireland CPD_Senior Executive Accountability Regime_Deloitte 22Jan19
ICSA Ireland CPD_Senior Executive Accountability Regime_Deloitte 22Jan19ICSA Ireland CPD_Senior Executive Accountability Regime_Deloitte 22Jan19
ICSA Ireland CPD_Senior Executive Accountability Regime_Deloitte 22Jan19
 
ICSA Ireland CPD event - Essential Eight Technologies
ICSA Ireland CPD event - Essential Eight TechnologiesICSA Ireland CPD event - Essential Eight Technologies
ICSA Ireland CPD event - Essential Eight Technologies
 
ICSA Ireland Conference 2018, 17 May
ICSA Ireland Conference 2018, 17 MayICSA Ireland Conference 2018, 17 May
ICSA Ireland Conference 2018, 17 May
 
ICSA Irish Region Directors' Duties (Dublin) CPD event, 24 April 2018
ICSA Irish Region Directors' Duties (Dublin) CPD event, 24 April 2018ICSA Irish Region Directors' Duties (Dublin) CPD event, 24 April 2018
ICSA Irish Region Directors' Duties (Dublin) CPD event, 24 April 2018
 
ICSA Irish Region Directors' Duties (Cork) CPD event, 10 April 2018
ICSA Irish Region Directors' Duties (Cork) CPD event, 10 April 2018ICSA Irish Region Directors' Duties (Cork) CPD event, 10 April 2018
ICSA Irish Region Directors' Duties (Cork) CPD event, 10 April 2018
 
ICSA Irish Region Audit Committees CPD event, 6 March 2018
ICSA Irish Region Audit Committees CPD event, 6 March 2018ICSA Irish Region Audit Committees CPD event, 6 March 2018
ICSA Irish Region Audit Committees CPD event, 6 March 2018
 
ICSA Irish Region Effective Minute Taking CPD event, 12 December 2017
ICSA Irish Region Effective Minute Taking CPD event, 12 December 2017ICSA Irish Region Effective Minute Taking CPD event, 12 December 2017
ICSA Irish Region Effective Minute Taking CPD event, 12 December 2017
 
ICSA Irish Region Effective Board Reporting CPD event, 5 December 2017
ICSA Irish Region Effective Board Reporting CPD event, 5 December 2017ICSA Irish Region Effective Board Reporting CPD event, 5 December 2017
ICSA Irish Region Effective Board Reporting CPD event, 5 December 2017
 
ICSA Irish Region General Data Protection Regulation event, 10 October 2017
ICSA Irish Region General Data Protection Regulation event, 10 October 2017ICSA Irish Region General Data Protection Regulation event, 10 October 2017
ICSA Irish Region General Data Protection Regulation event, 10 October 2017
 
ICSA Irish Region the Minuting of Meetings event, 12 September 2017
ICSA Irish Region the Minuting of Meetings event, 12 September 2017ICSA Irish Region the Minuting of Meetings event, 12 September 2017
ICSA Irish Region the Minuting of Meetings event, 12 September 2017
 
Ireland Directors' Compliance Statement and Audit Committees event, 20 June 2017
Ireland Directors' Compliance Statement and Audit Committees event, 20 June 2017Ireland Directors' Compliance Statement and Audit Committees event, 20 June 2017
Ireland Directors' Compliance Statement and Audit Committees event, 20 June 2017
 
Yorkshire Branch Meeting 28 June 2017
Yorkshire Branch Meeting 28 June 2017Yorkshire Branch Meeting 28 June 2017
Yorkshire Branch Meeting 28 June 2017
 

Kürzlich hochgeladen

The Economic History of the U.S. Lecture 19.pdf
The Economic History of the U.S. Lecture 19.pdfThe Economic History of the U.S. Lecture 19.pdf
The Economic History of the U.S. Lecture 19.pdfGale Pooley
 
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...ranjana rawat
 
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escorts
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur EscortsHigh Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escorts
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escortsranjana rawat
 
03_Emmanuel Ndiaye_Degroof Petercam.pptx
03_Emmanuel Ndiaye_Degroof Petercam.pptx03_Emmanuel Ndiaye_Degroof Petercam.pptx
03_Emmanuel Ndiaye_Degroof Petercam.pptxFinTech Belgium
 
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service Nashik
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service NashikHigh Class Call Girls Nashik Maya 7001305949 Independent Escort Service Nashik
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service NashikCall Girls in Nagpur High Profile
 
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptxFinTech Belgium
 
Malad Call Girl in Services 9892124323 | ₹,4500 With Room Free Delivery
Malad Call Girl in Services  9892124323 | ₹,4500 With Room Free DeliveryMalad Call Girl in Services  9892124323 | ₹,4500 With Room Free Delivery
Malad Call Girl in Services 9892124323 | ₹,4500 With Room Free DeliveryPooja Nehwal
 
Andheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot ModelsAndheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot Modelshematsharma006
 
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...ssifa0344
 
The Economic History of the U.S. Lecture 30.pdf
The Economic History of the U.S. Lecture 30.pdfThe Economic History of the U.S. Lecture 30.pdf
The Economic History of the U.S. Lecture 30.pdfGale Pooley
 
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Delhi Call girls
 
The Economic History of the U.S. Lecture 21.pdf
The Economic History of the U.S. Lecture 21.pdfThe Economic History of the U.S. Lecture 21.pdf
The Economic History of the U.S. Lecture 21.pdfGale Pooley
 
The Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfThe Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfGale Pooley
 
Q3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesQ3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesMarketing847413
 
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...Suhani Kapoor
 
20240429 Calibre April 2024 Investor Presentation.pdf
20240429 Calibre April 2024 Investor Presentation.pdf20240429 Calibre April 2024 Investor Presentation.pdf
20240429 Calibre April 2024 Investor Presentation.pdfAdnet Communications
 
Log your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignLog your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignHenry Tapper
 
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...Call Girls in Nagpur High Profile
 
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...shivangimorya083
 
Instant Issue Debit Cards - School Designs
Instant Issue Debit Cards - School DesignsInstant Issue Debit Cards - School Designs
Instant Issue Debit Cards - School Designsegoetzinger
 

Kürzlich hochgeladen (20)

The Economic History of the U.S. Lecture 19.pdf
The Economic History of the U.S. Lecture 19.pdfThe Economic History of the U.S. Lecture 19.pdf
The Economic History of the U.S. Lecture 19.pdf
 
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
 
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escorts
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur EscortsHigh Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escorts
High Class Call Girls Nagpur Grishma Call 7001035870 Meet With Nagpur Escorts
 
03_Emmanuel Ndiaye_Degroof Petercam.pptx
03_Emmanuel Ndiaye_Degroof Petercam.pptx03_Emmanuel Ndiaye_Degroof Petercam.pptx
03_Emmanuel Ndiaye_Degroof Petercam.pptx
 
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service Nashik
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service NashikHigh Class Call Girls Nashik Maya 7001305949 Independent Escort Service Nashik
High Class Call Girls Nashik Maya 7001305949 Independent Escort Service Nashik
 
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx
05_Annelore Lenoir_Docbyte_MeetupDora&Cybersecurity.pptx
 
Malad Call Girl in Services 9892124323 | ₹,4500 With Room Free Delivery
Malad Call Girl in Services  9892124323 | ₹,4500 With Room Free DeliveryMalad Call Girl in Services  9892124323 | ₹,4500 With Room Free Delivery
Malad Call Girl in Services 9892124323 | ₹,4500 With Room Free Delivery
 
Andheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot ModelsAndheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot Models
 
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
 
The Economic History of the U.S. Lecture 30.pdf
The Economic History of the U.S. Lecture 30.pdfThe Economic History of the U.S. Lecture 30.pdf
The Economic History of the U.S. Lecture 30.pdf
 
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
 
The Economic History of the U.S. Lecture 21.pdf
The Economic History of the U.S. Lecture 21.pdfThe Economic History of the U.S. Lecture 21.pdf
The Economic History of the U.S. Lecture 21.pdf
 
The Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfThe Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdf
 
Q3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesQ3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast Slides
 
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...
VIP Call Girls LB Nagar ( Hyderabad ) Phone 8250192130 | ₹5k To 25k With Room...
 
20240429 Calibre April 2024 Investor Presentation.pdf
20240429 Calibre April 2024 Investor Presentation.pdf20240429 Calibre April 2024 Investor Presentation.pdf
20240429 Calibre April 2024 Investor Presentation.pdf
 
Log your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignLog your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaign
 
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...
VVIP Pune Call Girls Katraj (7001035870) Pune Escorts Nearby with Complete Sa...
 
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...
Russian Call Girls In Gtb Nagar (Delhi) 9711199012 💋✔💕😘 Naughty Call Girls Se...
 
Instant Issue Debit Cards - School Designs
Instant Issue Debit Cards - School DesignsInstant Issue Debit Cards - School Designs
Instant Issue Debit Cards - School Designs
 

ICSA Guernsey Branch Tax Seminar 2016

  • 1. ICSA Guernsey Branch Stay Ahead of the Game in Tax Annual Tax Update 2016 Alison Vine 17 May 2016
  • 2. • Tax Transparency − FATCA Recap − CRS • Building up the heat – tax scrutiny − UK corporate criminal offence of failure to prevent the facilitation of tax evasion − UK civil sanctions for enablers of offshore evasion • Reform of UK domicile rules − Formerly domiciled residents − Long- term UK residents • Taxation of UK property – − ATED changes from 2016 − SDLT changes from 2016 − Proposed IHT changes from 2017 − Rental property changes ICSA Tax update 2016 Agenda
  • 3. FATCA Recap ICSA Tax update 2016
  • 4. FATCA Overview Relevant Timings Notes • 1 – 30 June 2015 – classification of pre-existing individual high value accounts completed • 2 – 30 June 2016 – classification of all other pre-existing accounts • 3 – 30 June 2015 – 2014 US FATCA reporting • 4 – 30 June 2016 – 2015 US FATCA reporting, 2014 and 2015 UK FATCA Reporting Workstream 2014 2015 2016 Phase1 Classification of internal entities Classification of client entities Implement new onboarding procedures Strategy, communications and governance Registration of FIs with IRS Phase 2 Customer classification and due diligence Reporting 30 June 2014 (31 Dec 2014 for entities under US FATCA) 22 Dec 2014 in an IGA jurisdiction 1 2 3 4 ICSA Tax update 2016
  • 5. FATCA – the current agenda as of May 2016 • Finalising reportable account populations • XML solutions • Reporting portal logistics • Client communications (Increase in customer awareness) • Consideration of FATCA as a process ICSA Tax update 2016
  • 7. The Regulatory Timeline CRS is being implemented on a very short timeframe and is replacing UK FATCA CRS US FATCA Go live: 01/07/14 UK FATCA 2014 2015 2016 2017 June Annual Reporting Taken over by CRS on 01/01/16 Go live: 01/01/16 ICSA Tax update 2016
  • 8. CRS in the Crown Dependencies • For FATCA we saw largely common guidance notes produced across the Crown Dependencies. • For CRS, the islands are producing separate guidance. • Both Jersey and Guernsey released their CRS guidance notes in December 2015. Jersey released a second draft in February 2016, and IOM issued their CRS guidance in March 2016. • There is a difference at a policy level between the guidance. Jersey are adopting an approach such that the existing FATCA guidance can continue to be applied for CRS (provided it does not frustrate the purpose of the agreement). • The Guernsey approach is to broadly follow the extensive OECD materials rather than the existing local FATCA guidance. ICSA Tax update 2016
  • 9. Building up the Heat ICSA Tax update 2016
  • 10. Building up the Heat In advance of UK and global reporting through CRS a number of measures are being put in place to: • Facilitate last minute reporting of undisclosed offshore accounts/ investments etc • Impose criminal and civil penalties in the UK for the facilitation of offshore evasion • Register people with significant control of UK companies (from June 2016) • Register ultimate beneficial ownership as the legal owner of UK land ( from June 2016) • Facilitate government to government sharing of information on beneficial ownership with central register of beneficial control ( 2017) ICSA Tax update 2016
  • 11. Consultation issued on 16 July 2015 On same day 3 more consultations issued, all in respect of ‘Tackling Offshore tax evasion’: • Civil sanctions for enablers of offshore evasion • Strengthening civil deterrents for offshore evaders • A new criminal offence for offshore evaders (further consultation after first one in August 2014) Foreword in each explains how large amount of information will become available to HMRC under UK FATCA and CRS. ‘HMRC has given people ample opportunity to regularise their affairs. In advance of HMRC receiving this new data there will be one last chance for evaders to come forward and put their affairs in order’. All consultations closed on 8 October 2015. Draft legislation was included with the Summary of Responses published in December 2015. Further consultation issued 17 April 2016 concerning the specific legislation and guidance required. Closing date 10 July 2016. A New Corporate Criminal Offence of Failure to Prevent the Facilitation of Evasion
  • 12. A New Corporate Criminal Offence of Failure to Prevent the Facilitation of Evasion Government plans to introduce a new criminal offence which is committed when a corporation fails to prevent their agent from criminally facilitating tax evasion and the corporation cannot show that it took reasonable steps to prevent this. Stated aim is to ensure ‘that corporations foster a positive corporate culture of compliance and put in place systems to prevent, detect and report criminal facilitation of tax evasion by their agents’. Corporates are normally charged in the UK through the ‘identification doctrine’ or ‘directing mind theory’. The employees who HMRC believe fall into the directing mind category are: The board of directors, the managing directors ‘and perhaps the senior officers of a company who carry out functions of management and speak and act as the company’.
  • 13. A New Corporate Criminal Offence of Failure to Prevent the Facilitation of Evasion The offence will apply to evasion of UK • Income tax • Capital gains tax • Inheritance tax • VAT Actions which will be regarded as facilitation of offences may include: • Acting as a broker/conduit • Providing planning and advice • Delivery of infrastructure • Maintenance of infrastructure • Financial assistance
  • 14. A New Corporate Criminal Offence of Failure to Prevent the Facilitation of Evasion Before a corporate criminal liability can be considered it has to be proved, beyond reasonable doubt,: • An individual has committed tax evasion, and • That individual has been deliberately aided and abetted in the tax evasion by an agent of the corporate, and • The corporation failed to take reasonable steps to prevent this. Where the corporate can demonstrate that it has, on the balance of probabilities, put in place ‘reasonable procedures’ (per Bribery Act) to prevent its agents facilitating tax evasion then it has no case to answer. In considering what reasonable procedures might be, these may include: • compliance with any applicable published guidance, • contractual terms for staff • training provided to staff, • steps taken to monitor and ensure compliance.
  • 15. • UK government recognised it was difficult to tackle the problem of enablers using criminal powers alone. • The civil sanctions will complement the criminal powers. • The civil penalty will be linked to the amount of tax which the enabler helped the evader to evade. • Current suggestion appears to be a maximum penalty of 100% of the tax evaded, with this being reduced based on • The sanctions will also include naming provisions. Civil Sanctions for Enablers of Offshore Evasion
  • 16. Reform of UK Domicile Rules ICSA Tax update 2016
  • 17. Introduction Two key announcements in Summer 2015 Budget: From April 2017: 1. Those who have a strong connection with the UK having a domicile of origin at birth should not be able to access the remittance basis regime if they return and become UK resident here, even if they have lost that UK domicile as a matter of law (‘Formerly Domiciled Residents’). 2. Those who have been resident in the UK for “more than 15 out of the past 20 tax years” will be treated as deemed UK domiciled for all tax purposes (‘Long- term UK residents’). A consultation document in respect of these points was issued on 30 September 2015 with responses requested by 11 November 2015. It was expected legislation would be included in Finance Act 2016, however, there is nothing in the Finance Bill. © 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
  • 18. Formerly Domiciled Residents • Formerly domiciled residents are UK resident individuals who were born in the UK and have a UK domicile of origin. • Individuals in this category will be taxable on their worldwide income and gains from the point when they become UK resident. • For IHT purposes their estates will be subject to charge on worldwide assets. • The consultation document proposed a grace period for IHT purposes only, such that individuals will only be deemed domiciled for IHT if they have been UK resident in one of the two preceding tax years. • Excluded property trusts will be brought into the relevant property regime (ie treated as made by a UK domiciled), so trustees will have IHT reporting obligations. There is likely to be no grandfathering. As a result an affected trust may be subject to IHT for events on or after 6 April 2017 with a grace period only in respect of the residence rule. © 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
  • 19. Long-Term UK Residents • Individuals who are resident in at least 15 of the previous 20 tax years will be deemed to be UK domiciled for all tax purposes. • If deemed domiciled: o UK income and gains taxable as they arise – no change o No remittance basis for foreign income and gains. o Worldwide assets within scope of IHT. • Per Budget 2016, a rebasing of assets at 5 April 2017 will apply if become deemed domiciled on 6 April 2017, but details and the extent to which rebasing will apply is unclear. • Deemed domicile applies even if non-UK resident in year 16. • Could be deemed domiciled after being UK resident for 13 full tax years and two part tax years. • May need to be non-UK resident for 6 whole tax years to break deemed domicile. • Remittance basis still available pre-deemed domicile, but remittance basis income/gains taxable if remitted later. • Grandfathering may apply for those who “left” before the Summer 2015 Budget (8 July 2015). © 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
  • 20. All Deemed UK Doms Assets held through Offshore Company Company • UK income received by company may be taxable on shareholder (no change) • UK gains made by company may be taxable on shareholder when they arise if own >25% shares • Foreign income and gains may be taxable on the same basis under UK anti-avoidance provisions as they arise • Value of shares may be rebased to 5 April 2017 value if become deemed domiciled on 6 April 2017 under long-term UK resident rule • The value of the shares will be part of the individual’s estate for IHT • Offshore companies still provide protection for non-UK residents and UK resident non-doms to hold UK assets, except UK residential property. © 2016 Deloitte LLP. All rights reserved.ICSA Tax update 2016
  • 21. Taxation of UK Property ICSA Tax update 2016
  • 22. Residential Property Changes Since 2012 April 2013 20 March 2014 4 Dec 2014 April 2015 •ATED and ATED- related CGT introduced for residential properties worth > £2m; •15% SDLT for ATED properties (from 21 March 2012) April 2016 6 April 2017 •15% SDLT for ATED properties worth more than £500k •SDLT rates become progressive (but not for 15% rate) •ATED threshold lowered to £1m. •ATED charges increased by 50% •NRCGT introduced. •LBTT replaces SDLT in Scotland •ATED threshold lowered to £500k •Higher rates of SDLT (extra 3%) for purchases (for more than £40,000) of buy to let or second homes •Look-through of opaque structures for IHT purposes •SDLT filing and payment deadlines may reduce from 30 to 14 days ICSA Tax update 2016
  • 23. Annual Tax on Enveloped Dwellings (ATED) 2016 Changes • From 1 April 2016 the charge applies to dwellings worth £500k to £1m too. • The charge for 2016/17 was £3,500. • Return and payment for 2016/17 were due by 30 April 2016. • The valuation date is 1 April 2012 or later (if purchased after that date). Next valuation date 1 April 2017. • The same rules apply to this category as to the £2m+ charges already in place. • Residential properties which fall within ATED, worth £500k or above, purchased after 20 March 2014 by an ‘envelope’, will be subject to the higher rate of SDLT of 15%. • From 1 April 2016 reliefs (from ATED and 15% SDLT) extended to equity release schemes, property development activities and properties occupied by employees.
  • 24. SDLT Recent Changes •From 4 December 2014 SDLT on the purchase of residential property only will be calculated based on scale rates rather than the ‘slab’ system. •From 1 April 2016 an additional 3% applies on the purchase of buy to let or second homes (for values over £40,000). Exemptions apply for corporates or funds with more than 15 properties. •Consultation expected on reducing SDLT filing and payment window from 30 to 14 days (from 2017) £0 - £125,000 0% £125,000 - £250,000 2% £250,001 - £925,000 5% £925,001 - £1,500,000 10% £1,500,001 upwards 12%
  • 25. UK Residential Property – IHT Change Summer Budget 2015 Proposal From 6 April 2017 the government intends to bring all UK residential property held directly or indirectly by foreign domiciled persons into charge for IHT purposes, even when the property is owned through an indirect structure such as an offshore company or partnership. • The changes will be the subject of a consultation document which is expected to be released this year. • The intention is that the legislation will be contained in the 2017 Finance Act, but that measures will commence from 6 April 2017. • Affected individuals/entities may wish to consider de-enveloping, particularly if double charges may arise. • A specific relief for capital gains tax and stamp duty land tax on de-enveloping may be introduced. ICSA Tax update 2016
  • 26. Replacement of Domestic Items Relief • Wear and tear allowance allows (broadly) a 10% deduction from gross rents where furnished properties are let, regardless of expenditure. • Wear and tear allowance has been abolished with effect from 6 April 2016 for individuals and 1 April 2016 for companies. • It has been replaced with a deduction based on costs incurred on replacing furniture, appliances and kitchenware. • The new relief applies to part and unfurnished residential properties, in addition to furnished properties. • The new relief will increase administration required by landlords. ICSA Tax update 2016 Rental Properties
  • 27. Finance Cost Restriction • It was previously announced that full relief for financing costs paid in respect of let residential property will be gradually replaced with a deduction of 20% of the amount paid (higher rates of relief may currently apply where the property is owned by an individual or direct at trust level). • In particular, this applies to mortgage interest. • The change will be phased in from 6 April 2017, and will apply in full from 6 April 2020. • In some circumstances, as full relief will be unavailable, the tax liability on rental income could exceed the economic profit. ICSA Tax update 2016 Rental Properties
  • 28. Contact Details Alison Vine Tax Director 01481 703264 avine@deloitte.co.uk ICSA Tax update 2016 Martin Popplewell Tax Director 01481 703229 mjpopplewell@deloitte.co.uk
  • 29. Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited (“DTTL”), a UK private company limited by guarantee, and its network of member firms, each of which is a legally separate and independent entity. Please see www.deloitte.co.uk/about for a detailed description of the legal structure of DTTL and its member firms. Deloitte LLP is the United Kingdom member firm of DTTL. This publication has been written in general terms and therefore cannot be relied on to cover specific situations; application of the principles set out will depend upon the particular circumstances involved and we recommend that you obtain professional advice before acting or refraining from acting on any of the contents of this publication. Deloitte LLP would be pleased to advise readers on how to apply the principles set out in this publication to their specific circumstances. Deloitte LLP accepts no duty of care or liability for any loss occasioned to any person acting or refraining from action as a result of any material in this publication. © 2016 Deloitte LLP. All rights reserved. Deloitte LLP is a limited liability partnership registered in England and Wales with registered number OC303675 and its registered office at 2 New Street Square, London EC4A 3BZ, United Kingdom. Tel: +44 (0) 20 7936 3000 Fax: +44 (0) 20 7583 1198.

Hinweis der Redaktion

  1. #[TitlePage]
  2. From / form typo
  3. Chevrons with text boxes