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Accounting & Tax Issues in Developing the Accounting & Tax Issues in Developing the Malaysian ABS MarketMalaysian ABS Market
- A Regulator’s Perspective - A Regulator’s Perspective
Wong Sau NganSECURITIES COMMISSION, MALAYSIA
Shanghai 8 November 2005
Workshop on the Rise of Securitization in East Asia
7 – 9 November 2005
AgendaAgenda
• Overview of ABS market in MalaysiaOverview of ABS market in Malaysia
• Accounting mattersAccounting matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Tax mattersTax matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Moving forwardMoving forward
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3
95 12308955 8068
0
20000
40000
60000
80000
100000
120000
140000
160000
180000
200000
2001 2002 2003 2004Year
Amou
nt (R
M Mi
llion)
MGS PDS ABS
Efforts to develop ABS market in Malaysia accelerated after 1997 financial crisis
• Prior to 2001, ABS market was non-existent due to a wide range of legal, regulatory, tax & accounting impediments
• As at end-September 2005, 21 ABS have been issued, amounting to RM 17.76 billion (USD 4.75 billion equivalent)
• However, size of ABS market is relatively small compared to MGS and PDS markets
• More developmental initiatives required to further boost the ABS market
Size of ABS market vs MGS and PDSSize of ABS market vs MGS and PDS
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Accounting and Taxation treatments are crucial to ABS transactions
Issuer• Issuance of ABS
into market
Intermediaries
• Facilitate issuance of ABS into market
Investors
• Provide liquidity
ABS Market
Regulators
Government Market ParticipantsMarket Infrastructure
Legal & regulatory
Accounting
Taxation
5
Significance of accounting treatment for ABS transactions
Why is it important to the originator?Why is it important to the originator?
Improve performance ratio Reduce gearing Fulfill capital adequacy requirements
Benefit to originator in ABS transaction is possible off-Benefit to originator in ABS transaction is possible off-balance sheet treatment for its asset transfersbalance sheet treatment for its asset transfers
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Significance of tax treatment for ABS transactions
Why is it important to the originator and SPV?Why is it important to the originator and SPV?
• Important for originator to determine tax impact of entering into ABS transactions
• Crucial for SPV to budget its cash flows to meet its obligations which could otherwise be severely impacted by any unexpected tax charges
Tax treatment impacts the viability of ABS transactionsTax treatment impacts the viability of ABS transactions
AgendaAgenda
• Overview of ABS market in MalaysiaOverview of ABS market in Malaysia
• Accounting mattersAccounting matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Tax mattersTax matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Moving forwardMoving forward
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Lack of clarity on accounting treatment of ABS transactions
• Currently, most ABS transactions in Malaysia are “off-balance sheet”
• IAS 39 – Financial Instruments: Recognition & Measurement took effect internationally from 1 January 2001
Crux of the matter is whether the transfer of asset in an ABS transaction is a true sale, hence be taken off-balance sheet
• Based on IAS 39, the sale will constitute a “true sale” if originator has surrendered its control over the asset and the transferee has obtained benefits of the transferred assets Principle of “substance over form” approach
1.1. Criteria for “true sale” – the “off-balance sheet” issue Criteria for “true sale” – the “off-balance sheet” issue relating to the transfer of assets from originator to SPVrelating to the transfer of assets from originator to SPV
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SPV – to consolidate or not to consolidate?SPV – to consolidate or not to consolidate?
Originators may have to consolidate SPV that they, in substance, “control”
There is a concern that the SPV would need to be consolidated with the originator, thereby defeating the purpose of derecognising the assets in the first place
Lack of clarity on accounting treatment of ABS transactions (con’t)
2.2. Uncertainty on treatment of SPV by the originatorUncertainty on treatment of SPV by the originator
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Accounting issues have major implications on developing ABS market
• Derecognition and consolidation rulesDerecognition and consolidation rules Introduce more stringent rules on the removal of assets from balance sheet of originator
Intended objective of transfer of assets from originator to SPV may not be achieved
Even if assets are taken off-balance sheet (derecognised), there is a possibility of consolidating the SPV at originator’s level, hence, bringing the assets back to the books of the originator
• Fair value measurement for investments in ABSFair value measurement for investments in ABS Absence of consistent transacted prices and quotes Difficulty is compounded by illiquid bond market Reliability of valuation models
• Significant implication to the ABS industrySignificant implication to the ABS industry• Adverse impact on the development and growth of ABS marketAdverse impact on the development and growth of ABS market
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• SC is represented on Malaysian Accounting Standards Board (MASB) and Working Group on IAS 39
• Ensure that interpretation of IAS 39 is in line with international practice to provide clarity and certainty to market practitioners
• Promote discussion and debate with the view to enhance awareness of ABS structures that are allowed under SC’s ABS Guidelines from the structures seen in the financial debacles
• Active engagement with accounting practitioners, particularly, top 4 accounting firms in providing SC’s development perspectives on ABS transactions
• Strike balance between extent to which risks, rewards & control over securitised assets have been transferred resulting in a transaction being deemed as off-balance-sheet vs. on-balance-sheet
SC’s role in ABS accounting issues
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• The adoption follows the approval recently by MASB of IAS 39, known as FRS 139 in Malaysia
• Adopted after five years of lengthy deliberation involving major constituents such as bankers, auditors, investment analysts, professional bodies, the unit trust industry and insurance industry & consultation process with the public
• Takes into account various changes to IAS 39 by IASB over the years, as well as the ongoing changes
• FRS 139 is part of MASB’s plans to issue 21 financial reporting standards in Malaysia in the current year to serve the investing community better through greater transparency in financial reporting
• In view of the far reaching implications on companies, companies are encouraged to get ready for FRS 139’s implementation on 1 January 2006
Malaysia has adopted IAS 39
AgendaAgenda
• Overview of ABS market in MalaysiaOverview of ABS market in Malaysia
• Accounting mattersAccounting matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Tax mattersTax matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Moving forwardMoving forward
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Lack of certainty on tax treatment of ABS transactions
IssuesIssues
• How would originator be taxed on sale of asset?
• How would SPV be taxed?
• Implications of transaction taxes (e.g RPGT, Stamp Duty & Service tax)?
• Tax implication for investors?
OriginatorOriginator SPVSPVIssues Issues ABSABS
Sale of Sale of assetasset
InvestorsInvestors
Lack of specific tax legislation that deals with securitisationLack of specific tax legislation that deals with securitisation
Case-by-case approach according to specific facts and circumstances by reference to existing general tax legislation and practices give rise to tax uncertainties
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Tax issues for originator
• How would proceeds of originator from sale of assets be taxed? Tax upfront; or Taxable over tenure of ABS
• Could the disposal price of asset transferred be challenged? Uncertainty as to how the disposal price should be determined and what should
be the consequential gain or loss on the sale of assets by the originator
• Are costs associated with the asset transfer deductible? If answer is affirmative, there is a need to determine the timing of deduction
• Will the transfer be subject to transaction taxes (e.g stamp duty and RPGT)?
• Would service fee received by the originator from SPV be subject to service tax?
• Need for tax certainty and clarity for ABS transactionsNeed for tax certainty and clarity for ABS transactions• Need to reduce tax cost of ABS transactionsNeed to reduce tax cost of ABS transactions• Consider exemptions from transaction taxesConsider exemptions from transaction taxes
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Tax issues for SPV
• Basis of taxationBasis of taxation Uncertainty on the tax status of the SPV in terms of whether it is
considered carrying on a business or an investment holding company
Carrying on a business enjoys maximum tax deduction
Investment holding company subject to restrictions on deductibility of expenses
• Given the bankruptcy remote status of the SPV, the tax burden of an Given the bankruptcy remote status of the SPV, the tax burden of an SPV arising from ABS transactions should be kept to a minimumSPV arising from ABS transactions should be kept to a minimum
• This objective would not be accomplished if the SPV is considered This objective would not be accomplished if the SPV is considered to be an investment holding company as it attracts a significant tax to be an investment holding company as it attracts a significant tax burden for the SPVburden for the SPV
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Tax issues for investors
• Tax treatment of interest received on ABS issued by the SPV
• Witholding tax implication of interest paid to non-residents
Tax incentives required to encourage investment in ABSTax incentives required to encourage investment in ABS
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The Government has proposed in Budget 2004 that ABS be given equal tax treatment as other conventional securities to promote issuance of ABS as a means of cost-efficient fund-raising
• Established a set of specific tax treatment based on the principle of tax neutrality between ABS and other private debt securities to ensure tax neutrality and tax certainty for ABS transactions
E.g Proceeds and capital charge arising from transfer of receivables and assets respectively between the originator and the SPV would be spread out over the securitisation period, rather than charged upfront
• Tax deduction is granted to expenses incurred in the issuance of ABS for a period of 5 years
• Payment received by the servicers of the assets is deemed exempted from service tax under the Service Tax Act 1975
Tax Neutral Framework for Originators & SPV
• Originator and SPV not to be over-burdened by additional taxOriginator and SPV not to be over-burdened by additional tax• Clarification on treatment on income and expenses by originator and SPVClarification on treatment on income and expenses by originator and SPV• Specific tax treatment based on the principle of tax neutralitySpecific tax treatment based on the principle of tax neutrality
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• Stamp Duty (Exemption) (No.12) Order 2001Stamp Duty (Exemption) (No.12) Order 2001• Stamp Duty (Exemption) (No. 4) Order 2005Stamp Duty (Exemption) (No. 4) Order 2005
Generally, all instruments (Conventional and Islamic) executed for the purpose of securitisation will be exempted from stamp duty
• Real Property Gains Tax (Exemption) Order 2001Real Property Gains Tax (Exemption) Order 2001
RPGT exemption for the following disposals in a securitisation transaction approved by SC: Disposals to purchase by SPV; and Repurchase of the chargeable assets, to or in favour of the person
from whom those assets were acquired
Tax incentives for Originator and SPV
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Tax incentives for investors
Non-residentNon-resident
• Blanket exemption from withholding tax granted by the Government with effect from 11 September 2004
• Interest income derived by non-residents from investments in RM-denominated Malaysian Government Securities (MGS) and corporate bonds is exempted from withholding tax
ResidentResident
• Exemption of interest income received by individuals, close end funds and unit trust funds
AgendaAgenda
• Overview of ABS market in MalaysiaOverview of ABS market in Malaysia
• Accounting mattersAccounting matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Tax mattersTax matters Impediments & IssuesImpediments & Issues Initiatives takenInitiatives taken
• Moving forwardMoving forward
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Accounting and tax issues and uncertainties impede securitisation transactions and hinder the development of
the ABS market
Malaysia’s experience in relation to accounting & tax issues on ABS transactions
Consultations with industry bodies, accounting and tax practitioners, Malaysian Accounting Standards Board and
Inland Revenue Board
Formulate an efficient, facilitative and transparent accounting and tax framework for the ABS market
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• Educating tax authorities on ABS transactions and structures• Constantly engaging with industry participants, tax consultants and
tax authorities to clarify uncertainties and ambiguity
Next steps
• SC is constantly engaging with industry bodies & MASB to provide greater certainty on the interpretation & application of IAS39 (e.g clarification on de-recognition of asset)
AccountingAccounting
TaxationTaxation
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Establishment of Bond Pricing AgencyEstablishment of Bond Pricing Agency
• Provides independent and objective fair value for ABS
Financial Guarantee Insurer (FGI)Financial Guarantee Insurer (FGI)
• Credit enhancement from an external party for ABS deal
• Without external credit enhancement from the FGI, issuers of ABS would depend on the costly over-collateralisation of assets to achieve higher credit rating
• Helps originator transfer substantial risk and maintain off-balance sheet treatment
Other related initiatives to develop ABS market