Singapore Company

INTERSHORES I Tax & Incentives for Holding Companies in Singapore

A number of Singapore’s DTAs include “tax sparing” provisions, which ensure that benefits granted to foreign investors under the source state’s tax incentive schemes will not be offset by the residence state’s taxes.

 

Under those provisions, the residence state treats the entity as if it had paid the usual corporate tax rate on that income in the Singapore and a number of other ASEAN countries offer favorable tax incentive schemes and concessions, aimed at attracting foreign investment. e source state, even when it has enjoyed a tax holiday or other concession. Essentially, the income is “spared” under the treaty in order to advance economic development. Currently, the countries with which Singapore has such agreements include Malaysia, Vietnam, the Philippines, Myanmar, Brunei, Canada and New Zealand.

 

Withholding Tax: Dividends

Singapore does not have a dividends tax under its one-tier corporate tax system, meaning that a Singaporean company’s after-tax profits can be distributed freely to both resident and non-resident shareholders without being subjected to further tax. A number of Singapore’s treaty partners do levy withholding taxes on dividends, however, and many DTAs reduce the rate that would otherwise be applicable under domestic laws.

 

Withholding Tax: Interest and Royalties

Tax treaties help to clarify the jurisdiction in which interest or royalties are deemed to arise. The source state will usually be the jurisdiction in which the payer of the interest or royalty is resident. In certain cases both states will tax interest or royalty income, although at lower rates. Singapore’s domestic withholding rate for interest and royalties derived by a non-resident through operations in Singapore is the prevailing corporate tax rate of 17% (or 20% in the case of individuals). For all other payments, the domestic withholding rates are 15% for interest and 10 percent for royalties.

 

Routing Investment through Singapore

The example below shows how a business can save 5% in withholding tax by routing an investment in Indonesia through Singapore. When an Indonesian subsidiary tries to remit profits directly to its parent company, it is subject to Indonesia’s high 20% dividend withholding rate (assuming the parent company is located in a country that does not have a DTA with Indonesia providing for a lowered tax rate). By interposing a Singaporean holding company between the Indonesian company and ultimate parent, a business can avail itself of the lower 15 percent dividend withholding rate in the Indonesia—Singapore tax treaty. As Singapore does not impose withholding taxes on dividends, the Singaporean holding company can remit profits to its parent without incurring further withholding tax liability.

 

           

% directly investing into Indonesia

% Parent Investing into Indonesia Through Singapore Subsidiary

Indonesian Company

Profit before Tax

100

100

Less Indonesia CIT (25%)

(25)

(25)

Profit After Tax

75

75

Parent Company

Dividend Income

75

75

Indonesian Dividend Withholding Tax

75 x 20% = 15

75 x 15% = 11.25

Singaporean Dividend Withholding Tax

-

-

Net Dividend Received

60

63.25

 

Singapore’s DTAs: Final Thoughts

Singapore’s extensive DTA network mitigates the problems of double taxation to a large extent. DTA considerations are essential to ensuring that a business operating across multiple jurisdictions can meet its tax obligations in those countries without suffering an excessive tax burden. Singapore’s favorable DTAs have been key in allowing it to retain its status as an international investment hub, by enabling companies to stay competitive with local businesses in Asia.

 

Rates and Reductions for Select Asian Treaty Partners

 

Dividends

Interest

Royalty

 

Domestic Rate

Treaty Maximum

Domestic Rate

Treaty Maximum

Domestic Rate

Treaty Maximum

In %

Brunei

0

10

0

10

10

10

Indonesia

20

15

20

10

20

15

Malaysia

10

10

10

10

10

8

Myanmar

20

10

20

10

20

15

Phillipines

30

25

30

15

30

25

Thailand

15

None

15

25

15

15

Vietnam

10

5 to 12.5

10

10

10

15

China

10

10

10

10

10

10

India

10

15

10

15

10

none

The above list the ordinary rates for payments to non-residents. In some cases, further reduced rates or exemptions may apply

if certain conditions are met.

 

 

If you want to know more, please do not hesitate to contact us:

 

Whatsapp : (852) 6499 4686

Phone : (852) 2186 6936

Email : info@intershores.hk

 

 

Disclaimer:

Whilst reasonable care has been taken in provision of information above, it does not constitute legal or other professional advice. INTERSHORES does not accept any responsibility, legal or otherwise, for any error omission and accepts no responsibility for any financial or other loss or damage that may result from its use.  In particular, readers are advised to take appropriate professional advice before committing themselves to any involvement in jurisdictions, vehicles or practice.

 

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