Ireland: Finance Bill 2013 published
International Tax Review is part of the Delinian Group, Delinian Limited, 4 Bouverie Street, London, EC4Y 8AX, Registered in England & Wales, Company number 00954730
Copyright © Delinian Limited and its affiliated companies 2024

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Ireland: Finance Bill 2013 published

thornton.jpg

Gerry Thornton

The Irish Finance Bill 2013 published recently contains a number of features designed to bolster Ireland's attractiveness for international companies doing business in and through Ireland. An overview of the most relevant changes is as follows:

FATCA

Ireland was one of the first countries in the world to conclude an inter-governmental agreement with the US in relation to FATCA. The Finance Bill enables the Irish Revenue to make regulations to collect the necessary FATCA information from financial institutions and to exchange such information with the US. These regulations are expected to be published over the coming months.

Real estate investment trusts

Ireland is introducing real estate investment trust (REIT) companies. It is hoped REITs will attract foreign investment into the Irish real estate market and establish Ireland as a hub for the management of international real estate. The Finance Bill sets out the tax legislation that will underpin REIT companies. Subject to certain criteria, a REIT will be exempt from tax in respect of the income and chargeable gains of a property rental business. Dividends paid by a REIT will be subject to dividend withholding tax, unless exempted under one of Ireland's 68 tax treaties.

Investment limited partnerships

Irish investment limited partnerships (ILPs) are a form of regulated Irish fund. Historically, ILPs have been rarely used, partly because they have not been treated as tax-transparent. The Finance Bill amends the tax treatment of ILPs to ensure that they are tax-transparent. This change is expected to allow the Irish regulated funds sector to compete globally to attract new business lines to Ireland following the implementation of the Alternative Investment Fund Managers Directive (AIFMD) in 2013.

Structured finance

The tax regime relating to the issuance of Islamic finance and other structured instruments is being enhanced and the stamp duty treatment applying to the redemption of debt securities by Irish SPVs has been clarified and improved.

Intangible asset regime

The existing Irish intangible asset regime provides for tax depreciation (capital allowances) in respect of the acquisition of intellectual property but contains a claw-back of capital allowances if the assets are disposed of within 10 years. The claw-back period is now being reduced to five years.

Aviation infrastructure tax depreciation

The Finance Bill applies tax depreciation to hangars, tear down pads, parking and ancillary facilities and also provides for an accelerated capital allowance scheme over seven years in relation to construction or refurbishment of certain buildings or structures used in connection with the maintenance, repair or overhaul of commercial aircraft.

Foreign tax credits for dividends

In a welcome development, the Finance Bill introduces an additional credit for tax on certain foreign dividends received from subsidiaries resident in EU or EEA countries. This provision is a reaction to the ruling of the European Court of Justice (ECJ) in the Test Claimants in the FII Group Litigation case. The total credit under the new regime (including the additional credit) cannot exceed the Irish corporation tax attributable to the dividend and there are limitations on pooling and carry forward by reference to the additional credit. The amendment is stated to apply to all dividends paid on or after January 1 2013.

Employee incentives

The proportion of time that key employees must spend solely on R&D activities to qualify for the R&D tax credit surrender regime is being reduced from 75% to 50%. The foreign earnings deduction scheme, which provides for a tax deduction for individuals who carry out the duties of their office or employment in BRICS countries is being extended to include Algeria, the Democratic Republic of the Congo, Egypt, Ghana, Kenya, Nigeria, Senegal and Tanzania.

Enactment

The Finance Bill is expected to be enacted by April 5. Changes may be introduced as the Bill progresses through the various parliamentary stages.

Conclusion

These improvements to Ireland's tax regime underline Ireland's continued commitment to be a leading jurisdiction to attract and retain inward investment.

Gerry Thornton (gerry.thornton@matheson.com)

Matheson

Tel: +353 1 232 2664

more across site & bottom lb ros

More from across our site

Mazars needs to do all it can to capitalise on TP as a growth area, ex-Deloitte TP director Jeremy Brown has told ITR
Sanjay Sanghvi and Raghav Bajaj of Khaitan & Co provide a practical guide for foreign investors looking to capitalise on Indian’s investment potential
The newly launched Tax Responsibility and Transparency Index will assess the ethicality of companies’ tax practices against global standards and regulations
The reported warning follows EY accumulating extra debt to deal with the costs of its failed Project Everest
Law firms that pay close attention to their client relationships are more likely to win repeat work, according to a survey of nearly 29,000 in-house counsel
Paul Griggs, the firm’s inbound US senior partner, will reverse a move by the incumbent leader; in other news, RSM has announced its new CEO
The EMEA research period is open until May 31
Luis Coronado suggests companies should embrace technology to assist with TP data reporting, as the ‘big four’ firm unveils a TP survey of over 1,000 professionals
The proposed matrix will help revenue officers track intra-company transactions from multinationals
The full list of finalists has been revealed and the winners will be presented on June 20 at the Metropolitan Club in New York
Gift this article