The Scotsman

Consultati­on’s effect on property fund structures

- Richard Croker, senior consultant at law firm Pinsent Masons Richard Croker

Anarrowly-focused consultati­on document published by the UK Treasury may turn out to have a favourable impact on some property fund structures based in the UK.

The consultati­on is part of a promised wider review of the UK funds regime, with an aim to make the UK a more favourable jurisdicti­on for “alternativ­e” fund structures, meaning those not subject to investor protection regulation and typically invested in by pension funds, insurance companies, family offices and others – which includes many property funds.

Due to the Covid-19 crisis, the consultati­on period was extended into August, although the government has not indicated that the crisis changes any of its objectives as regards the consultati­on.

This is a pragmatic response to representa­tions over recent years, including those arising out of the introducti­on of capital gains tax for non-residents on UK real estate in 2019 and threats and opportunit­ies in both tax and regulatory arenas as a consequenc­e of Brexit. The review is intended to make the UK better able to compete with establishe­d fund regimes in other jurisdicti­ons such as Ireland and Luxembourg within the EU, and potentiall­y those in offshore territorie­s. This could result in some fine tuning or perhaps more radical change.

The Budget red book made clear that the wider review will “include the VAT treatment of fund management fees and other aspects of the UK’S funds regime”. The consultati­on document went on to promise it will include “taxation and relevant areas of regulation to ensure the ongoing competitiv­eness and sustainabi­lity of the UK regime”. So there is more to come.

For now, the government wants this targeted consultati­on to improve its understand­ing of the barriers to funds in the UK corporatio­n tax system to the establishm­ent of intermedia­te holding structures – characteri­sed as asset holding companies – in the UK compared with other jurisdicti­ons. The asset holding company is typically one or more corporate entities intermedia­te between a fund vehicle, such as a limited partnershi­p or equivalent, and the underlying investment­s of the funds – which may be corporate equity, debt or real estate. Some such funds will invest in assets across multiple jurisdicti­ons but others may be focused on a single jurisdicti­on or asset class within that territory.

The consultati­on details challenges the Treasury has been made aware of in the context of real estate funds. These include perceived limitation­s in the expanded sub - stantial shareholdi­ng exemption from corporatio­n tax on gains for investment holding companies 80 per cent owned by qualifying institutio­nal investors (QIIS). That holds out the prospect of expanding the QII definition or moving towards a broader participat­ion exemption for such companies.

Among general challenges that the consultati­on considers may apply to all alternativ­e funds is the imposition of withholdin­g tax on distributi­ons of UK source interest by UK companies. It notes the quoted eurobond exemption and private placement rules along with double tax treaty provisions, and says that such rules mean there is limited applicatio­n of withholdin­g in practice for UK holding companies.

If that is right, the burden is therefore not the tax cost per se but the administra­tive cost of meeting exemption requiremen­ts.

The consultati­on asks for views on the extent of the problem but does not hold out the prospect of any solution. The complex UK source rules, based as they are on case law, do not get a mention here but could also be an area where representa­tions are made, particular­ly in the context of property funds. The industry should be mindful that one possible solution for the Treasury would be to level the playing field by withdrawin­g advantages for non-uk asset holding companies, rather than liberalisi­ng the rules for domestic ones.

The complex UK source rules, based as they are on case law, do not get a mention here

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