How multinational companies avoid paying hefty amount of tax

How multinational companies avoid paying hefty amount of tax

Many multinational Companies  is used various schemes to shift profit from high-tax country to low-tax country. Bermuda is the prime Example of lower tax Jurisdiction, where corporate income tax is equal is 0%.

In a survey, it was found that around US$420 Billion in Corporate profit is shifted by Multinational companies to  79 country every year, which is equates to approx US$125 Billion in loss of revenue of tax in these countries.

Channel of Profit shifting to lower tax countries .

There are generally three main channels i.e register a Intangible assets such as trademark/patents/ copyright in tax heaven , Debt shifting and Transfer pricing to shifting profit to lower tax countries.

Lets take any example how these Channel work? And how companies uses to avoid paying hefty amount tax on income .

There is a multinational companies Composed of two companies,  one is established in Higher tax Country such as Austraila where rate of corporate tax is 30% on income (ABC limited ) and another one is located in  Bermuda , where rate of Corporate tax is 0% on income ( XYZ Limited ). Both Companies should tax on Income in respective Countries.

1)     Register an Intangible Assets

In this case, ABC Limited Register an Intangible asset in XYZ Limited which is located in Bermuda and then ABC limited pay royalties to XYZ Limited to use these Intangible assets. Paying of royalties will result in Decrease in profit.

2)     Debt Shifting

Debt shifting is another way, which is used by multinational entities to shifting a profit. For Example, ABC Limited (Australia) borrows loan (whether is no need for taking the loan) from XYZ Limited (Bermuda). And the amount of loan which has taken by ABC Limited, on which they need interest. Now, when the interest is paid by ABC Limited to XYZ Limited , which will result in decrease in profit of ABC Limited whatever they have reported in Australia. On the other hand , will see growth in profit of XYZ Limited.

3)     Transfer pricing

Transfer is the third Channel that can be used by multinational Companies , When there is trade     between two associated enterprise . to Set a price which is known as arms length Price , which means price should be same between  two associated Enterprises as they would be if two non-associated entities traded with each other for same services / Goods .

There any following  Method under transfer pricing to Determine Arms Length price

1)      Transaction net margin Method ( TNMM)

2)     Comparable Un-Controlled Price Method (CUP)

3)     Cost Plus method

4)     Profit split Method

5)     Resale price method

6)     Any other method as prescribed by CBDT

 

Suppose, ABC Limited Manufacture Jeans for cost of US$80 and willing to sell pair of Jeans  to Unrelated party ( Company PQR)  a US$20 . Now ABC Limited have to pay tax at US$20 in Australia which will come around US$6..

But there is another way to lower tax on same profit , Now in this case , ABC Limited will make to sell to his subsidiary XYZ limited ( Bermuda ) at US$81 , and report profit in Australia US$1 , amount tax will be make approx US$.03 ( at 30% Tax Rate ) . On the Other hand XYZ Limited sale Jeans to Unrelated party (Company PQR ) at US $100, and earn profit US$20 without paying taxes .

Using this scheme ABC Limited saved $5.6% of tax on every pair  of Jeans .

 

 

 

 

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