![]() |
|
|||||||||||||||
|
HighTech
Women Join HighTech Women
|
HighTech
Women & Business... Going
Global |
Opinions on Going Global? Give us your feedback... We want to hear from you. Any thoughts? Do you agree/disagree/have more to add? We'd love to have your feedback. Please click here and let us know. |
||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Read other articles on HighTech Women's site and write one of your own:
|
There are
a plethora of issues facing companies who decide to take the plunge
and expand their businesses across international borders, not simply
for those exporting goods or supplying services to overseas customers,
but for those setting up a business in the overseas jurisdiction.
My own
expertise is in the area of tax, but my experience with my clients
demonstrates that tax is only one of the myriad of issues facing a
company as it embarks upon global expansion. I have focused on four
vital areas: (2)
Property (3)
Corporate structure (4)
Local compliance (1)
People
An
area that often presents a major pitfall for the unwary is that of the
right to work in a particular country.
This is often forgotten, as the sales director is focusing on
the business and finding the right person for the job, and no thought
is given to work permits. While
this is not an issue within the EU, if your star recruit is detained
at the airport and sent back on the next plane, your financial
forecasts may have to be revised! Work permits must be resolved in advance of the arrival of
the individual, as opposed to some of the other matters I will be
commenting on later, where timing may not be so critical.
It
is also necessary to be aware of local labour law and employment
practices. I work
with a large number of US owned companies who find some of our
European practices extraordinarily generous to the employee and who
can alienate their key local recruit if they say so!
The practice of providing cars, pensions, length of holiday
entitlement vary from country to country and again local knowledge and
advice is essential to get it right. (2)
Property
It
is often the case that a business start up will have humble beginnings
with a small initial workforce of maybe 2 or 3 people.
It is clear that the investing company will not want to sign a
long lease - Americans in particular are unused to the UK’s property
laws and are not at all keen to commit to leases of 5 years or more
from day one. In
the UK, it is now more common for short term commercial property to
be available on terms much more akin to the US model i.e. weekly or
monthly lettings of one person offices upwards.
These vary in price from fully serviced offices with reception
facilities to basic accommodation available for rent by the day or
week that are fully electronically equipped single units with no frills.
Such arrangements allow flexibility to expand or contract without
taking on a long-term financial commitment. Similar
serviced accommodation providers in the residential market are also
starting to appear in the UK market.
Such accommodation is useful both for ex-patriats coming to the
UK to start-up a local business or for employees seconded to a UK based
client. Where the time in
the UK is going to be too long for a hotel to be palatable, but too
short to take on a 6 or 12 month residential lease, such serviced lets
are particularly attractive. (3)
Corporate structure
It
is often assumed by companies that it is necessary to set up business
through an independent legal person such as a limited company. This is not the case. All
developed countries will have a local tax system that deals with how to
tax foreign businesses operating in their jurisdiction. The double tax treaty network provides relief from double
taxation where more than one country has taxing rights.
However, if the overseas company is not carrying on an activity
that renders it taxable at all, then no formal legal entity is required.
For example, if there are 1 or 2 people on the ground locally,
exploring the market and feeding back information to the home country,
this will not generally give rise to a taxable activity.
There are likely to be local payroll tax withholding requirements
on individuals’ salaries, but no corporate income tax.
This will not be the case if a local company has been
incorporated. In these circumstances most Revenue gathering authorities
will expect to see the company making a profit and will apply transfer
pricing rules to make sure that it does.
What determines tax nexus is activity - companies should avoid
creating it by imposing an unnecessarily elaborate corporate structure
over a simple local activity. It
should also be noted that there is often a link between the type of
local entity used and the domestic employment laws.
For example, you may find yourself being required to employ a
quota of local lines to match which market your ex-patriat numbers, if
you operate through a company, irrespective of your need for these local
employees. It
is usually easier, to build a corporate empire than to dismantle it:
make sure you examine the facts carefully with an experienced advisor
before building your edifice. (4)
Local compliance
Irrespective
of whether your overseas start-up is going to stay small or be your
vehicle for flotation, you will need to comply with local filing
requirements e.g., payroll taxes, VAT or similar sales taxes, property
taxes, accounts and business registration.
You may not create corporate tax nexus by doing any of these
things, but you will run the risk of penalties for non-compliance.
In my own experience, I have seen a flotation pulled at the
eleventh hour when a very large exposure to tax interest and penalties
was identified on employees’ travelling and subsistence expenses. If
you are going to float your overseas investment, you want to be the one
to choose the timing, not the Revenue authorities. The
above looks like a minefield, but you should not be deterred from making
your investment. Do take
advice at the outset. In
addition to professional advice, which must be paid for, it is a good
idea to explore the possibility of free advice from the country’s
government or regional development agencies.
For example in London, London First Centre (LFC) is the inward
investment arm of London First. London
First is an organisation, which is a public/private partnership whose
aim is to promote London as a place to live and work and to lobby
government on issues impacting on Londoners. LFC’s
advice is free and they will introduce you to their members who can then
provide specialist advice and expertise.
However, you should be aware that such agencies are committed to
promoting their own region. In the same way, tax advisors like myself, love their subject
and will come up with a whole range of interesting possibilities; you
should ensure that your main driver is your business.
Your commercial aims are paramount: it must be the commercial dog
that wags the tail, not the agenda of your advisers. Good
luck with the global expansion! Pat Billingham is a former UK Inspector of Taxes and has been a partner in Ernst & Young for five years. Pat is Head of Foreign Direct Investment in Ernst & Young’s Entrepreneurial Services London Office. She has a wide range of experience in advising inbound clients on their tax affairs, including corporate structuring, cross boarder employee issues and UK tax compliance. Pat’s team of FDI specialists consists of 60 financial and tax specialists, plus a group of experience project managers to facilitate the expansion plans of international businesses. Do you have comments or suggestions or other ideas in this field? Give us your feedback. ©
HighTech Women, Ltd. 2000-2004. All rights reserved. |
Share your know-how It is time to get out there and share your know-how. The object of HighTech Women is meeting and mentoring. It's a forum for sharing your experience and expertise. In the coming months we look forward to hearing from you and having you share your business advice, "lessons learned" and give us a sense of how you feel the markets are changing and where we are all going in technology and technology related sectors. If you have you are interested in writing an article, please email us at information@hightech-women.com
|
||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||||