INTM332050 - Double Taxation applications and claims: HMRC reaction to Indofood case

  1. As can be seen from the above, the Court did not interpret the various DTAs in the light of Indonesian law but adopted an interpretation consistent with OECD interpretations. Following legal advice, HMRC바카라 사이트s view is that the 바카라 사이트beneficial ownership바카라 사이트 decision, as far as it relates to Double Taxation Conventions (DTCs), is now part of UK law. The decision is also likely to be of persuasive force where related issues for UK DTCs are being considered and that, where it is relevant, HMRC is obliged to follow it. Since the Court of Appeal decision is fully consistent with the UK바카라 사이트s existing policy HMRC does not think that, in general, the case will have a significant impact on its current practice.
  2. The key point is that, in Indofood, the Court of Appeal has simply confirmed that, in line with the OECD Commentary, beneficial ownership 바카라 사이트should be understood in its context and in light of the object and purposes of the Convention, including avoiding double taxation and the prevention of fiscal evasion and avoidance바카라 사이트 and that tests of the legal structure, and of the commercial and practical substance of the scheme, should be adopted to determine beneficial ownership. The Court of Appeal decision is consistent with HMRC바카라 사이트s view of all DTC articles referring to beneficial ownership. This covers the Articles on interest, royalties and if appropriate dividends. The comments made in this guidance regarding interest will also apply to royalty and dividend payments.
  3. It is HMRC policy that, where there is treaty abuse (such as, say, 바카라 사이트treaty shopping바카라 사이트), interpreting 바카라 사이트beneficial ownership바카라 사이트 in what the Court of Appeal called its 바카라 사이트narrow technical바카라 사이트 UK domestic law meaning would not give effect to the purpose and object of the DTC of preventing fiscal evasion, indeed it would be contrary to the object of the DTC to allow such treaty abuse. On the other hand, interpreting 바카라 사이트beneficial ownership바카라 사이트 in what the Court of Appeal called its 바카라 사이트international fiscal meaning바카라 사이트 clearly gives effect to the purpose and object of the DTC by excluding abusive cases such as 바카라 사이트treaty shopping바카라 사이트 from the benefits of a DTC.
  4. Although, in the context of DTCs, beneficial ownership will take what the Court of Appeal decision accepted as an 바카라 사이트international fiscal meaning바카라 사이트 rather than a UK domestic meaning, in HMRC바카라 사이트s view there are unlikely to be many cases where the difference is material. The issue would only arise when the substance of an arrangement amounts to an improper use of the relevant DTC in the light of the DTC바카라 사이트s object of prevention of fiscal evasion and avoidance, for example 바카라 사이트treaty shopping바카라 사이트. Treaty shopping is only likely to take place where the 바카라 사이트real바카라 사이트 beneficial owner of the income, such as 바카라 사이트the immediate underlying lender바카라 사이트 in the case of interest, is resident in a state with which the UK has either no DTC or a DTC less favourable than the DTC applicable to the intermediate lender, or if the recipient of an income stream into which an intermediate lender has been interposed is resident in such a state (regardless of whether they themselves are the beneficial owner). These are the only situations where HMRC believe further consideration of the 바카라 사이트international fiscal meaning바카라 사이트 will be needed.
  5. Where both the intermediate and the underlying lender are resident in states with which the UK has essentially similar DTCs, no issue is likely to arise, even where the intermediate lender is not, under the so-called 바카라 사이트international fiscal meaning바카라 사이트 of the phrase, the beneficial owner of the interest, as there would be no fiscal evasion or avoidance. This is because in these circumstances it is unlikely that the effect of the arrangement is the avoidance of UK withholding tax, since the level of UK withholding tax would have been the same with or without the intermediate lending.