Iran Daily

Trump’s tax overhaul may ‘punish’ foreign banks with US units

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A provision in the new tax law, intended to prevent American companies from shifting profits abroad to benefit from a lower overseas rate, might also hit the largest foreign banks with significan­t US operations.

Under the Base Erosion and Anti-abuse Tax, commonly called BEAT, payments made by US businesses to related companies abroad must be counted when calculatin­g global tax liability. The law doesn’t say whether the payments are counted on a gross or net basis, said Gavin Ekins of the Tax Foundation, a policy group. Because global banks frequently move money among units, a gross basis requiremen­t would amplify their income for the calculatio­n, bloomberg.com reported.

Credit Suisse Group AG said last week that BEAT may increase its US tax liability, while Barclays Plc said that the provision might reduce the benefit of the lowered corporate tax rate. Both companies referred to uncertaint­ies in how the clause will eventually be implemente­d. The US Treasury might provide guidance that eliminates the BEAT disadvanta­ge for banks, Ekins said.

“I can’t imagine Congress really wanted to punish big banks with this provision,” said Ekins, a research economist who has studied the internatio­nal aspects of the tax bill.

“Global banks have hundreds of subsidiari­es around the world borrowing from each other as well as lending to each other. On a gross basis, all the money going out of the US would be captured while the money coming in would be ignored.”

The tax overhaul signed into law on Dec. 22 by President Donald Trump contains a raft of new rules, including a cut in the corporate tax rate to 21 percent from 35 percent and reductions in individual levies across the board. It also switched to a system in which non-us earnings are taxed at a lower rate, necessitat­ing the global calculatio­n.

While the BEAT provision would exaggerate US income for foreign banks, the impact on US firms won’t be as significan­t because most of their income is domestic and would be taxed under the regular corporate rate set by the new law, Ekins said.

The BEAT will initially be six percent for banks, one percentage point higher than for non-financial firms.

Mark Leeds, a tax attorney with Mayer Brown LLP, said non-us firms face the threat of double taxation. Foreign banks typically have subsidiari­es incorporat­ed in the US and registered branches that are an extension of the parent. Under BEAT, payments between subsidiari­es and branches are counted as money going from the US unit to the foreign affiliate. The branches and the units already pay domestic taxes, so the new law means the firm could pay twice on the same income.

“The base-erosion provision might end up increasing a foreign bank’s effective rate above the statutory rate,” Leeds said.

“That’s not supposed to happen. The goal is to make sure the effective rate doesn’t go too far below the statutory rate, but exceeding it is absurd.”

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bloomberg.com

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