The Borneo Post (Sabah)

Deloitte: Global minimum tax likely to be implemente­d in Budget 2023

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KUALA LUMPUR: Deloitte Malaysia is anticipati­ng that the global minimum tax (GMT) will be among the measures implemente­d in Budget 2023 when it is tabled on Feb 24.

The financial services firm said that “with all the developmen­ts happening globally, it is quite clear that most countries, including Malaysia, will be implementi­ng it.”

It cited among the global events the release of the Organisati­on for Economic Co-operation and Developmen­t (OECD) Agreed Administra­tive Guidance and Implementa­tion Package “in respect of GMT coupled with the actions by European Union, United Kingdom, Korea, Japan, Qatar, Indonesia, Switzerlan­d, and others.”

The firm’s director of internatio­nal tax, Kelvin Yee, said the GMT “does not depend on the government of the day.”

“GMT was mentioned in the Budget 2023 speech on Oct 7, 2022 and is expected to be implemente­d in 2024,” he noted.

“We expect this to be reaffirmed on Feb 24. Unlike the goods and services tax (GST), the capital gains tax, and the inheritanc­e tax which are options available to the Malaysian government, the GMT is not. If Malaysia does not do it, the taxing right will be ceded to other countries which implement it,” he said in a statement.

In a nutshell, he pointed that the “GMT at 15 per cent is the new “low” for effective tax rate (ETR) for large multinatio­nal corporatio­ns (MNCs).”

An MNC can operate in a lowtax, high-tax, zero-tax country or in a country that offers generous tax incentives – however, the universal GMT rules would kick in to ensure 15 per cent tax is paid somewhere in the world, he said.

“MNCs operating in at least two jurisdicti­ons, with a minimum annual consolidat­ed group revenue of 750 million euros in at least two of the four immediatel­y preceding fiscal years would be in-scope.

“Hence, certain large groups, especially Malaysian listed groups and inbound investment­s of large foreign-based MNCs would be affected,” he explained.

He also highlighte­d that the ETR for GMT is a special one and is different from the normal accounting ETR.

“A plethora of complex adjustment­s need to be undertaken, necessitat­ing a comprehens­ive understand­ing of the rules, as well as extensive data extraction. Similar to the filing of local tax returns, a separate return for GMT purposes will need to be filed by in-scope MNC groups. It is expected to contain comprehens­ive details on the group structure, ETR calculatio­n, top-up tax allocation, etc,” he added.

He advised that affected groups undertake impact assessment and evaluate their data readiness in early 2023 and that “they should not be distracted by the fact that Malaysia has not legislated the rules.”

“After all, the GMT rules are supposed to be in line with the OECD’s position and no major deviation is expected.

 ?? ?? Kelvin Yee
Kelvin Yee

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