08 January 2019

Thailand enacts International Business Centers regime to replace existing incentive regimes

Executive summary

On 28 December 2018, Thailand's International Business Centers (IBC) regime was enacted through Royal Decree and became effective as of 29 December 2018.1 Major developments include a parity of tax incentives on income earned from both local and overseas associated enterprises, a removal of tax incentives earned from international trading activities (i.e., out-out trading2) and an increase in minimum local spending. Tax incentives under the IBC regime replace all previous tax incentives under the Regional Operating Headquarters (ROH) I and II, International Headquarters (IHQ), Treasury Center (TC) and International Trading Center (ITC) regimes.

This measure is in response to the Harmful Tax Practices – 2017 Progress Report on Preferential Regimes (Inclusive Framework on BEPS:3 Action 5) in which Thailand's regional/international headquarters, trading and treasury hub regimes were identified as harmful tax practices.

Detailed discussion

Entities under the existing ROH II, IHQ, TC and/or ITC regimes

Entities that were previously granted incentives under ROH II, IHQ, TC and/or ITC regimes remain eligible for these tax incentives under the existing conditions until their current status expires (up to 15 years for an IHQ/ITC), while those with ROH I status (which does not have a time limit) can only enjoy the incentives until the end of the accounting year 2020. Alternatively, these entities (except an ITC) may choose to convert their status to an IBC if they meet the conditions.

Tax incentives at the corporate level

  • A reduced corporate income tax (CIT) rate of 8%, 5% or 3% on the net profits from its qualifying service fee and royalty incomes earned from its Thai and overseas associated enterprises, provided that it meets annual local spending requirements of THB60 million (US$1.85 million), THB300 million (US$9.23 million) or THB600 million (US$18.5 million), respectively (see Note 1 below)
  • Exemptions:
    • CIT on qualifying dividends received from its associated enterprises
    • Specific Business Tax (SBT) on qualifying incomes from treasury services
  • Withholding tax (WHT) on dividends distributed by the IBC to its overseas shareholders paid out of reduced-CIT profits of the IBC's operation and/or of the defined qualifying profits from ROH/IHQ operations within one year after the approval of the conversion to an IBC
  • WHT on qualifying interest paid by the IBC to an overseas loan provider in connection with the loan obtained for re-lending due to its treasury activities

Incentive period

  • 15 accounting years

Tax incentive at an individual level

  • 15% flat personal income tax rate on wages/salaries earned by of qualifying foreigners working full time for the qualifying IBC

Requirements (must meet all of the following conditions):

  • Be a Thai-incorporated company
  • Have at least THB10 million (US$310K) paid-up capital at the end of each accounting year
  • Provide qualifying support services or treasury services to its associated enterprises
  • Have at least 10 skilled full-time employees4 (or at least 5 employees if only engaging in treasury services)
  • Meet minimum local spending of at least THB60 million per accounting period unless converted from ROH or IHQ (see Note 1 below)
  • Obtain approval from the Director-General of the Revenue Department

Claw-back rule

  • If an IBC is unable to meet one of the conditions in any accounting year, it will not be entitled to the tax incentives for that particular accounting year.
  • However, if failure to meet the conditions for more than one accounting year continues, the IBC status may be revoked and the tax incentives could be clawed back from the first accounting year in which the incentive was granted.

Comparative chart

Download the PDF file to see the Comparative chart.

Note:

i. A qualifying IBC is entitled to reduced CIT rates of 8%, 5% or 3%, provided it meets the minimum annual local spending requirements of THB60 million, THB300 million or THB600 million, respectively. However, there is no minimum local spending requirement to a reduced 8% CIT rate for an ROH I that converts to an IBC; while an ROH II and IHQ that convert into an IBC are required to have minimum local spending of at least THB15 million per accounting year to be entitled to the reduced 8% CIT.

Further detailed conditions and application procedures under the IBC regime are expected to be released shortly.

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ENDNOTES

2 Defined as procurement of goods outside of Thailand from a company and sale to another company without transporting such goods into Thailand.

3 Base Erosion and Profit Shifting.

4 Knowledgeable and experienced employees.

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CONTACTS

For additional information with respect to this Alert, please contact the following:

EY Corporate Services Limited, Bangkok

  • Yupa Wichitkraisorn
    yupa.wichitkraisorn@th.ey.com
  • Pathira Lam-ubol
    pathira.lam-ubol@th.ey.com
  • Su San Leong
    su-san.leong@th.ey.com

Ernst & Young LLP, Thai Tax Desk, New York

  • Sarunya Sutiklang-viharn
    sarunya.sutiklang-viharn1@ey.com

Ernst & Young LLP, Asia Pacific Business Group, New York

  • Chris Finnerty
    chris.finnerty1@ey.com
  • Kaz Parsch
    kazuyo.parsch@ey.com
  • Bee-Khun Yap
    bee-khun.yap@ey.com

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ATTACHMENT

PDF version of this Tax Alert

Document ID: 2019-0059