21.02.2017
Malaysia News - Malaysia Enacts Finance Act 2017 – Expanded Scope of Withholding TaxOn 16 January 2017, Malaysia enacted the Finance Act 2017, effective as of 17 January 2017, incorporating changes on the scope of Withholding Tax (WHT) on technical services and royalties and further clarifications on penalty provisions for Country-by Country Reporting (CbC reporting).
Malaysia News - Malaysia Enacts Finance Act 2017 – Expanded Scope of Withholding TaxOn 16 January 2017, Malaysia enacted the Finance Act 2017, effective as of 17 January 2017, incorporating changes on the scope of Withholding Tax (WHT) on technical services and royalties and further clarifications on penalty provisions for Country-by Country Reporting (CbC reporting).
On 16 January 2017, Malaysia enacted the Finance Act 2017, effective as of 17 January 2017, incorporating changes on the scope of Withholding Tax (WHT) on technical services and royalties and further clarifications on penalty provisions for Country-by Country Reporting (CbC reporting).
The key changes with regard to WHT are the following:
Expanded Scope of Technical Services
Technical services are defined as technical advice, assistance or services in connection with technical management or administration. Technical management comprises amongst others the provision of marketing, architectural, computer programming, legal services and the supply of technical and software personnel. The term “administration” includes amongst others planning and co-ordination, financial management consultation. However, day to day administrative work, such as bookkeeping and other routine services (no specialized knowledge, skills or expertise are needed) does not fall under the category “administration”; those amounts are not subject to WHT.
Under the previous WHT regime payments made by a Malaysian resident taxpayer to a nonresident taxpayer for technical services were subject to WHT only if the services had been physically performed in Malaysia. Therefore, in order to calculate the correct amount subject to WHT a detailed break-down of the service fee was necessary.
From now on all payments made by a Malaysian resident taxpayer to a non-resident taxpayer for technical services are subject to 10 % WHT regardless where the services are physically performed.
The following examples illustrate the changes:
Expanded Definition of Royalty
The Finance Act also expands the definition of “royalty” subject to WHT. Henceforward, the term royalty includes any consideration for the right to use software, the reception of or the right to receive visual images or sounds transmitted to the public by satellite, cable, fibre optic or similar technology or in connection with television or radio broadcasting. Further, royalties paid for the use of or the right to use radio frequency spectrums.
The expansion of the scope of WHT on technical services and the expansion of the royalty definition may impact the business activities of Malaysian taxpayers significantly. As the new rules do apply since 17 January 2017 Malaysian taxpayers should
On 23 December 2016 Malaysia issued the Income Tax Rules 2016 to implement CbC reporting requirements in line with Base Erosion Profit Shifting (BEPS) Action 13. Accordingly, Malaysian taxpayers with a consolidated turnover of 750 mEUR have to file a CbC report in which amongst others, the following information for each group entity has to be shown: income allocation, taxes paid, headcount, business activities, profit (or loss), tangible assets others than cash and cash equivalents.
In order to ensure compliance with the changes, penalties for the failure to furnish CbC reports, incorrect reporting or omission of information have been published. Thus, failure to comply with the rules may result in a fine between 20,000 RM and 100,000 RM and/or imprisonment for a maximum of 6 months.
Luther LLP
Heike Riesselmann, German Certified Tax Advisor
Manager – International Tax Services
Phone + 65 6408 8067
Mobile +65 9489 0338
heike.riesselmann@luther-services.com
Philipp Kersting
Director
Luther Corporate Services Sdn Bhd, Kuala Lumpur
Phone +60 (0)3-21660085
Mobile +60 1228 751 97
philipp.kersting@luther-services.com