麻豆影视传媒

Home   News   Features   Interviews   Magazine Archive   Symposium   Industry Awards  
Subscribe
Securites Lending Times logo
Leading the Way

Global Securities 麻豆影视传媒 News and Commentary
≔ Menu
Securites Lending Times logo
Leading the Way

Global Securities 麻豆影视传媒 News and Commentary
News by section
Subscribe
⨂ Close
  1. Home
  2. Industry news
  3. ISLA gains last-minute concessions on GITA 2018
Industry news

ISLA gains last-minute concessions on GITA 2018


20 December 2017 London
Reporter: Zsuzsa Szabo

Generic business image for news article
Image: Shutterstock
The German Ministry of 麻豆影视传媒 has bowed to industry wisdom on the German Investment Tax Act (GITA 2018) following an eleventh-hour meeting with securities lending representatives ahead of the 1 January deadline.

EY partners Petar Groseta and Marcus Helios, who travelled to Germany on behalf of the International Securities Lending Association (ISLA), reported that they 鈥渉ad an extremely successful and productive meeting at the 麻豆影视传媒 ministry. It went for over two hours which shows how important the topic was鈥.

The meeting covered four key elements of GITA 2018, including the scope of taxable transaction, the tax base, collection of tax, and application of a double tax treaty.

Regarding the scope of taxable transactions, the new tax will be limited to transactions over the dividend record date only, in line with suggestions from ISLA, which were first outlined in a letter to the ministry earlier this month.

鈥淭his is what ISLA requested in our letter and so this is an excellent result,鈥 stated ISLA in reaction to the concession.

The regulation around tax base has also been amended. Manufactured dividend will be subject to tax at gross level because that is what the BMF sees as the core tax base for their anti-avoidance intentions.

EY鈥檚 interpretation is that as long as the manufactured dividend corresponds to the gross dividend, the fees and earnings from collateral are effectively out of scope.

If there is an attempt to shift the amount of the manufactured dividend to the fees, the tax base will be increased by this amount to reach the gross dividend.

Collection of tax against foreign lender and borrower is still under discussion. As it stands now, the withholding obligation is with borrower.

The BMF sees obligating the foreign borrower is more practicable than requiring funds to file German tax returns.

Until the German ministry clarifies the exact method of the investment tax collection, EY suggests to the borrowers to put the money in an escrow and wait for further guidance.

Further, the applicability of a double tax treaty on manufactured dividend is still open question.

The only way to overcome the uncertainty right now for the industry will be to make the refund claims and see how the things will evolve.
← Previous industry article

Clearstream GSF drops in November
NO FEE, NO RISK
100% ON RETURNS If you invest in only one securities finance news source this year, make sure it is your free subscription to Securities 麻豆影视传媒 Times
Advertisement
Subscribe today
Knowledge base

Companies in this article
→ ISLA

Explore our extensive directory to find all the essential contacts you need

Visit our directory →
Glossary terms in this article
→ ISLA
→ Borrower
→ Collateral
→ Dividend
→ Lender

Discover definitions, explanations and related news articles in our glossary

Visit our glossary →