2020-05-29

Guidance Note on International Business Companies (Amendment) Act, 2018

The Financial Services Commission of Belize issued this guidance to clarify the interpretation of grandfathering provisions for International Business Companies incorporated on or before October 16, 2017. The document confirms that these entities remain exempt from income, business, and withholding taxes until June 30, 2021, provided they do not engage in new relevant activities after the cutoff date. Additionally, IBCs conducting core income-generating activities in specified sectors must comply with economic substance requirements by June 30, 2021, while reporting their relevant activities to the Commission.

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  • 1 - GUIDANCE NOTE INTERNATIONAL BUSINESS COMPANIES (AMENDMENT) ACT, 2018 FSC's INTERPRETATION OF THE GRANDFATHERING OF ELIGIBILTY FOR TAX EXEMPTION AND EXEMPTION FROM ECONOMIC SUBSTANCE FSC/2/GN/007 It has come to the attention of the Financial Services Commission (the “FSC”) that there is uncertainty with respect to the interpretation and application of the eligibility of International Business Companies (IBCs) for tax exemptions and exemption from economic substance requirements (“the grandfathering provisions”) related to the International Business Companies (Amendment) Act, 2018 (Act No. 24 of 2018), specif￾ically section 14, which was amended in 2019 by Act No. 17 of 2019 and the Economic Substance Act, 2019. There appears to be some ambiguity in the interpretation and ap￾plicability of the grandfathering provisions to IBCs incorporated on or before October 16,

To bring clarity to this issue, the FSC sets out below its interpretation of the said section 14, which is in line with requirements of the OECD’s Forum on Harmful Tax Practices (“FHTP”). A. Tax: In respect of an IBC incorporated on or before October 16, 2017 (irrespective of whether the IBC owns, holds, or deals in IP assets): (a) all income of such IBC, (b) dividends or other distributions paid by the IBC to persons who are not res￾ident in Belize, (c) interest, rent, royalties, compensations, and other amounts paid by the IBC to persons who are not resident in Belize, and (d) capital gains realized with respect to any shares, debt obligations or other securities of such IBC by persons who are not resident in Belize, are exempt from income tax, business tax and any withholding tax in Belize until June 30, 2021 SAVE AND EXCEPT THAT any “relevant activity” or new asset ac￾quired after October 16, 2017 shall not be eligible to benefit from such tax exemp￾tions.

  • 2 - Such “relevant activity” means and includes: (a) Banking business; (b) Insurance business; (c) Fund management business; (d) Financing and leasing business; (e) Headquarters business; (f) Distribution and service centre business; (g) Shipping business; (h) As a holding company, engaged, or where one or more of its sub￾sidiaries is engaged in one of the activities listed under para￾graphs (a) to (g) above. B. Economic Substance: In respect of an IBC incorporated on or before October 16, 2017, if such IBC’s busi￾ness activities consists of the core income generating activities in relation to a rel￾evant activity, such IBC shall comply with the substantial economic presence re￾quirements of the Economic Substance Act, 2019 but shall have the period up until June 30, 2021 to meet such compliance and in that respect shall report to the Financial Services Commission the existence of a relevant activity with core income generating activities. The FSC reiterates that the grandfathering provisions expire on 30 June 2021. FINANCIAL SERVICES COMMISSION 29 May 2020