educational

Considering Inbound Transactions

Is your company in Canada or the Netherlands Antilles but doing business in the U.S.? Are you considering a company outside the U.S. that would be using an office in the U.S.? Then this brief overview should be of interest to you.

Too often we run across owners of a business or a web-based site who think that just because they set up their company outside the U.S. they do not need to pay U.S. tax (or file U.S. corporate income tax returns). When they learn they must, the IRS imposes steep penalties, interest and even criminal penalties.

Inbound transactions involve foreign persons or companies investing or doing business in the U.S. The U.S. imposes a tax on foreign persons on most nonbusiness investment income that originates from the U.S. and income that is connected with U.S. businesses or branches.

Nonbusiness investment income will be subject to a U.S. withholding tax, rather than the U.S. income tax. This withholding tax can be much more severe than the income tax, as there are no deductions or credits against the withholding tax. The withholding rate can range from zero to a whopping 35 percent, depending on the type of income and whether the income is being paid out to a resident of a country in which the U.S. has negotiated a bilateral tax treaty.

Income that is effectively connected with a U.S. business is subject to federal tax just like any other U.S. business. The income may also be subject to the U.S. withholding tax when it is removed from the U.S.

Foreign businesses that operate a U.S. branch or office may be subject to the U.S. branch profits tax in lieu of the U.S. withholding tax. This tax mimics the tax imposed on foreign companies that receive income from U.S. subsidiaries. The branch profits tax differs from the U.S. withholding tax in that it is based on an estimation of the U.S. branch's assets to determine what income accrued to the foreign owner.

With inbound transactions, the emphasis is usually on how the foreign company can structure its investment or business affairs so that it generates income that is not subject to tax in the U.S. This will usually be decided by what activities are carried out in the U.S. For example, a foreign software company may opt to locate its design, manufacture, support and/or distribution activities outside of the U.S., using an agent or third parties in the U.S., or through a wholly owned subsidiary.

If the investment or business cannot be structured so that it is not subject to U.S. tax, the focus shifts to how the funds can be removed from the U.S. in a tax-advantaged manner. There are a number of ways to remove funds from the U.S.

For example, earnings from a U.S. subsidiary may be removed from the U.S. by paying interest to the foreign parent company. The U.S. subsidiary may be able to deduct this interest payment thereby eliminating its U.S. tax liability. Moreover, the U.S. subsidiary may not have to withhold any or a portion of the interest payment under current law or applicable treaties. The interest may even be paid to a foreign country that does not impose a tax on the interest income. This is often referred to as "interest stripping."

Similarly, earnings of a U.S. subsidiary may be removed from the U.S. by paying a royalty to the foreign parent company. This royalty may be for the use of the parent's foreign-owned intellectual or intangible property, such as computer software, trademarks or patents. The U.S. subsidiary may be able to deduct this royalty payment and thereby reduce its U.S. tax liability and it may be able to reduce the amount of U.S. withholding tax that applies by having the payment made to a country that has a favorable bilateral tax treaty with the U.S.

The foreign parent company, depending on the laws of its state, may not be subject to tax on the income in its own country. Companies often set up foreign intellectual property holding companies for this very purpose.

The laws involved in structuring inbound transactions can be complex, yet many of the solutions need not be. The tax savings from properly structuring inbound transactions are usually more than sufficient to cover the cost of planning the transactions. With proper planning, individuals can accumulate wealth faster than they otherwise would and businesses can obtain a financial advantage over others who fail to properly structure their transactions.

Montage Services provides international and domestic tax consulting and advisory services primarily for corporations. To inquire about a particular tax issue or seek consulting services, contact Scott Wentz, managing director, at (415) 963-4016 or scott@montage-services.com.

Related:  

Copyright © 2024 Adnet Media. All Rights Reserved. XBIZ is a trademark of Adnet Media.
Reproduction in whole or in part in any form or medium without express written permission is prohibited.

More Articles

opinion

The ABCs of POS Systems for Adult Store Owners

What point-of-sale system is best for your adult business? Figuring that out can be frustrating, since the numerous options and acronyms don’t easily translate into a clear checklist of features and benefits you can weigh.

Sean Quinn ·
profile

Hayley Davies: From New Zealand Math Nerd to Fast-Rising Adult Star

Growing up, New Zealander Hayley Davies was a proud nerd who participated in mathematics competitions against students from much higher grades. Her good looks turned out to be a kind of secret weapon, causing peers to underestimate her intellectual acumen.

Alejandro Freixes ·
opinion

How Pleasure Brands Can Leverage Strategic PR Amid Mainstream Media Layoffs

Thanks to the mainstreaming of intimacy products, pleasure brands can now gain broad exposure in all kinds of publications, from Cosmo to Allure to Good Housekeeping. Unfortunately, the economic uncertainty dominating the world and challenging businesses has hit the media sector particularly hard.

Kathryn Byberg ·
profile

WIA Profile: Ruth Arceo

In the beginning, all Ruth Arceo knew was that she dreamed of being a buyer — but when the opportunity presented itself for a career in the adult world, she found she’d struck it rich. Arceo is the lucky lady who gets to pick and choose how to line the shelves at The Pleasure Chest in West Hollywood, California.

Women In Adult ·
profile

CalExotics Founder and CEO Susan Colvin Reflects on Brand's 30-Year Legacy

Thirty years ago, back when there were only hard plastic sex toys in tan and black, Susan Colvin had a vision of what sex toys could be. And so she set out to create her own company, California Exotic Novelties, which for three decades has been a pioneer, continually reimagining and expanding the pleasure products market.

Kim Airs ·
opinion

How to Sell Shoppers on Water-Friendly Toys

From soothing self-care in the bath to the invigorating spray of a shower, water can introduce new dimensions of pleasure, unlock unique sensations and provide a sensual backdrop for intimate exploration.

Carly S. ·
profile

WIA Profile: Inka Winter

Award-winning erotic filmmaker and ForPlay Films founder Inka Winter knows what she wants her films to be, and what she doesn’t want them to be. She seeks to depict sexuality that is mindful, based in human connection and trauma-informed.

Women In Adult ·
profile

'Traffic Captain' Andy Wullmer Braves the High Seas as Spirited Exec

Wullmer networked and hobnobbed, gaining expertise in everything from ecommerce to SEO and traffic, making connections and over time rising through the ranks of several companies to become CEO of the mobile business arm of TrafficPartner.

Alejandro Freixes ·
opinion

Why BDSM Furniture and Sex Machines Make an Ideal Match

For BDSM enthusiasts and curious newbies alike, a big part of the fun is discovering and exploring exciting new sensations and scenarios. One way to level up is by combining or layering pleasures you already enjoy, and one surefire way to do that is with BDSM furniture.

Rebecca Weinberg ·
opinion

To Cloud or Not to Cloud, That Is the Question

Let’s be honest. It just sounds way cooler to say your business is “in the cloud,” right? Buzzwords make everything sound chic and relevant. In fact, someone uninformed might even assume that any hosting that is not in the cloud is inferior. So what’s the truth?

Brad Mitchell ·
Show More