A Maltese Company can be
established to act as Group treasury for related companies whether or
not established in Malta. This enables a group of companies to
have the flexibility in their financing operations. A Group treasury
company is an important tool in international tax planning in any group
company structure. The establishment of such a company gives rise
to the following benefits:
-
Favourable tax treatment
resulting in low effective tax rate on interest income received through the
implementation of beneficial Maltese Refund mechanisms;
-
Non-resident shareholders
(or corporate shareholders beneficially owned by non-residents) of the
Maltese Treasury Company enjoy a 6/7ths refund
-
Malta does not apply any
withholding taxes on dividends distributions out of Malta to non-residents;
-
No capital duty, no thin
cap / debt to equity rules, no CFC rules;
-
Extensive treaty network;
-
Applicability of all EU
Directives;
-
No thin capitulation rules
in Malta
-
No CFC legislation
-
No withholding taxes in
Malta on outbound payments of interest to non-residents
-
After 1/1/07 no need to
obtain Advanced Revenue Ruling of Status to benefit from tax refund.
Low Effective Tax Rate
Interest receivable by a
Maltese Company acting as Group Treasury is considered as trading income if such
income satisfies the following conditions:
(1) interest which is derived,
directly or indirectly, from a trade or business, and
(2) such interest has suffered
any foreign tax, or
(3) such interest has suffered
foreign tax, directly, by way of withholding, or otherwise, at a rate of tax
which is at least 5%
Dividend
distributed to non-resident shareholders will benefit from a refund of 6/7ths of
the ACIT paid on such interest income. The resulting effective Malta tax rate on
interest receivable therefore stands at 5%. The 6/7th Refund mechanism requires
that no credit for double taxation relief is availed of by the Group Treasury
Company. If double taxation relief is claimed the applicable refund would amount
to 2/3rds of the Malta tax paid. Where interest income does not satisfy the
above conditions such income is considered passive in nature and the applicable
refund of Malta tax paid will amount to 5/7ths of the ACIT.
Funding of Malta Treasury Company
The funding of the Maltese Group Treasury Company may or may not depend on the
ownership structure adopted for the Group Treasury Company. Some options
include:
-
Funds from each shareholder
directly to the Group Treasury Company;
-
From each shareholder
personally to their personal holding company which will in turn advance
loans to the Group Treasury Company;
-
From profits of other
related companies or subsidiaries ultimately being owned by the same
structures;
-
Through third party loans.