ʻO kaʻaelike ʻauhau pālua ʻo Kipus-ʻApelika Hema - No ke aha he mea maikaʻi loa?
Introduction
South Africa, still remains a jurisdiction where investment, in the correct manner, can be attractive.
This is due to the South African economy offering a diversity of sectors and industries. It has a modern and extensive transport infrastructure, highly qualified financial serviced experts and ordinary labour costs are priced competitively.
South Africa’s significant natural resources and exceptional tourism potential have dominated the investment opportunities for a number of years but there are a number of new growth areas such as philanthropic investment opportunities.
These factors, along with a weak Rand resulting in a higher purchasing power for international investors, have made South Africa an interesting and increasingly popular investment destination.
The Double Tax Treaty between Cyprus and South Africa
The initial Cyprus-South Africa Double Tax Treaty (DTT) was signed in 1997, and an adjusting Protocol was signed in 2015, which amended certain key clauses. The key highlights and benefits of the DTT are:
- A reduced withholding tax on interest and royalties to 0%.
- A rate of 5% or 10% withholding tax on dividends:
- 5% if the beneficial owner of the company holds at least 10% of the capital of the company paying the dividend.10% – in all other cases.
- 10% in all other cases
withholding tax payments for dividends, detailed above, only relate to the payment of dividends from South Africa to non-resident shareholders. Dividend payments from a Cyprus company are taxed at 0% withholding tax.
In addition to the above rates of withholding tax it is worth noting that The Exchange of Information article was revised in 2015 and brought in line with the OECD Model Tax Convention.
Opportunities created by the favourable DTT and the Cyprus tax regime.
Hoʻohana o nā ʻoihana Kālā Kukia no ʻApelika Hema
As a result of the above benefits we can see that there are benefits in using a Cyprus company as a financing company for South Africa.
More specifically the 0% withholding tax rate on interest payments from South Africa to Cyprus coupled with and a 12.5% rate of corporation tax applied to any margin on the interest in Cyprus. When you combine this with the fact that there is no withholding tax applicable on interest payments from Cyprus you can see just how beneficial this structure can be.
Cyprus as a Location for the Holding of Intellectual Property (IP) used in South Africa
Cyprus has long been a location which offers advantages for IP structures. The use of one of these structures for IP utilised in South Africa is no exception. This is due to the below facts:
- ʻO ka ʻauhau mālama ʻole ʻo Zero i ka loaʻa kālā aliʻi i uku ʻia mai ʻApelika Hema a hiki i Kupero.
- Subject to meeting the specific requirements, only 20% of royalty income is taxed in Cyprus. Application of the Cyprus corporate tax rate of 12.5% therefore provides an effective tax rate of 2.5%.
- Hiki ke hoʻolilo i nā loaʻa kālā mai kahi ʻoihana Kipila me ka ʻole o ka ʻohi ʻana i ka ʻauhau e uku ʻia ma nā uku a i ʻole nā uku aliʻi aliʻi i mua.
- Ma ka hoʻolei ʻia ʻana o nā kuleana IP, 80% o nā loaʻa i loaʻa ʻole ka uku ʻia mai ka ʻauhau ʻoihana ma Kupero.
Other Advantages available in Cyprus
There are a number of additional benefits available in Cyprus, including:
- Loaʻa nā loaʻa kālā mai kahi hoʻokumu paʻa aia ma waho o Kipusa mai ka ʻauhau Cypriot inā ʻaʻole i ʻoi aku ma mua o 50% o ka loaʻa kālā i loaʻa mai nā loaʻa kālā hoʻopukapuka (dividends a me ka ukupanee).
- ʻAʻohe auhau loaʻa kālā. ʻO ka mea koe wale nō kēia ma nā loaʻa kālā mai ke kūʻai aku ʻana i nā waiwai neʻe ʻole i Kupero a i ʻole nā ʻāpana i nā ʻoihana e ʻona ana ia waiwai.
- ʻAʻohe ʻauhau ma ka loaʻa kālā loaʻa.
- ʻAʻohe ʻauhau paʻa i nā mahele, ka uku paneʻe a me nā uku aliʻi.
low rate of 12.5% corporation tax which could be lowered t 2.5% through the IP box regime or the ʻO ka unuhi ʻana i ka hoihoi no ka manaʻo (NID) – click the links for more information on these.
It is also important to highlight that through availability of tax rulings from the Cypriot Tax Authority we can make the tax planning a more certain and efficient process.
hōʻuluʻulu manaʻo
The Double Tax Treaty between Cyprus and South Africa can be extremely beneficial for the right investor, due to its zero-withholding tax on interest, royalties and dividends paid from Cyprus, and its relatively low rate of withholding tax on dividends paid from South Africa.
It’s particular strength is through the use of IP rights held in Cyprus that are utilised in South Africa, and the use of Cyprus financing companies for South African subsidiaries.
If you are interested in making the most of the Cyprus-South Africa DTT or if you have any questions about how we can help you, please contact us at the Dixcart office in Cyprus for further information: advice.cyprus@dixcart.com.