The Timaru Herald

Watson’s Cullen Group owes $100m-plus

- Susan Edmunds susan.edmunds@stuff.co.nz

A company owned by Eric Watson has been found liable for $51 million in tax, plus use of money interest and penalties that will more than double the amount owing.

Cullen Group has been involved in a dispute with Inland Revenue, which claims it structured its affairs to avoid tax.

In a judgment released yesterday, Justice Matthew Palmer sided with the department, handing the rich lister a big bill in the process.

Watson moved to the United Kingdom in 2002, selling his personal effects, closing his bank accounts and cancelling credit cards in New Zealand.

He restructur­ed his business affairs so that shares in Cullen Investment­s, formerly Blue Star Capital, were replaced by loans worth $291m, owed by Cullen Group to companies in the Cayman Islands, Modena Holdings and Mayfair Equity.

Because Modena and Mayfair were not ‘‘associated persons’’ with the Cullen Group, the arrangemen­ts fell into the approve issuer levy (AIL) tax regime.

This regime was set up to encourage investment in New Zealand by reducing the cost of

New Zealanders borrowing from non-residents. But in this case, the arrangemen­t introduced no new funds to New Zealand.

However, it meant Cullen Group could pay tax at 2 per cent on the $397m of interest it paid the companies, rather than nonresiden­t withholdin­g tax of 15 per cent. Inland Revenue assessed Cullen Group as having avoided $59.5m of non-resident withholdin­g tax in this manner, while it paid only $8m in AIL.

In court, Inland Revenue said the loans were not a genuine arms-length transactio­n and Cullen Group gained the benefit of the levy regime in a contrived way.

Cullen Group said the arrangemen­t restructur­ed Watson’s affairs to achieve certainty about his change of tax residency from New Zealand to the UK and to plan for applicatio­n of Britain’s laws governing remittance of foreign-sourced income.

But Justice Palmer backed Inland Revenue, saying that the group owed $51.5m in tax plus use-of-money interest and penalties. Use-of-money interest had reached an additional $60.5m in August last year.

‘‘Watson retained a high degree of control over the relevant entities and was on both sides of the loans. I do not consider the arrangemen­t was within the contemplat­ion and purpose of Parliament in enacting the AIL regime.’’

 ??  ?? Eric Watson
Eric Watson

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