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LuxembourgRealEstateInvestmentVehicles KPMG
AUDIT -TAX- ADVISORY
Luxembourg RealEstate
Investment Vehicles
2012
kpmg.lu
Luxembourg RealEstateInvestmentVehicles2012 | 1
Table of contents
Luxembourg RealEstateInvestmentVehicles 2
Introduction 2
Overview 3
Undertakings for Collective Investments
(UCIs) 8
Specialised Investment Funds (SIFs) 11
Luxembourg Risk Capital Companies
(SICARs) 16
Securitization Vehicles (SVs) 21
SOPARFIs 26
Appendix 1 - Comparison of RealEstateVehicles 34
Appendix 2 - The most popular forms
of legal entities 50
Appendix 3 - Glossary of terms 54
2 | LuxembourgRealEstateInvestmentVehicles 2012
KPMG is pleased to present its new edition of the LuxembourgRealEstate
Investment Vehicles.
Over the years, Luxembourg has developed a strong reputation as a centre
of excellence for a large variety of investmentvehicles and with fund assets
under management over EUR 2 trillion, Luxembourg is the largest fund center
in the European Union and second worldwide.
Luxembourg has also been a pioneer in the structuring of realestate
investments and it has emerged as the leading domicile in Europe for
vehicles investing directly or indirectly in internationally diversified real
estate portfolios.
Next to offering fund vehicles which are supervised by the Commission
de Surveillance du Secteur Financier (CSSF), Luxembourg also offers
unregulated vehicles using a wide variety of legal forms. It has developed
a flexible, predictable and efficient legal and tax system to offer tax
neutral & tailor-made solutions to investors.
Luxembourg is a sound market place with a longstanding experience which
benefits from strong investor recognition, efficient investment products,
a qualified multi-lingual workforce and dedicated service providers involved
in industry associations aimed at constantly improving the overall
Luxembourg experience.
This brochure aims at giving you an overview for setting up realestate
investment vehicles but it does not address all possible structuring
opportunities. For further information please do not hesitate to contact any
of our senior specialists listed at the back of the brochure.
KPMG differentiates and can help you across audit, tax, accounting and
advisory services from project inception through an integrated approach to
the investment life cycle. A description of our services and approach can be
found at the end of this document.
Yours faithfully,
Stéphane Haot
Head of RealEstate & Infrastructure, Luxembourg
Introduction
Luxembourg RealEstate
Investment Vehicles
Luxembourg RealEstateInvestmentVehicles2012 | 3
Luxembourg offers a full range of vehicles relevant for realestate investments
which may be either unregulated investmentvehicles or regulated vehicles
which are subject to registration and ongoing prudential supervision by
the CSSF.
Overview
10
30
50
70
90
110
130
150
170
190
210
2005 2006 2007 2008 2009 2010 2011
5%
Growth in number of Luxembourg regulated realestate fund units
Source: CSSF Annual Report 2011
Part II Institutional Funds/SIF
4 | LuxembourgRealEstateInvestmentVehicles 2012
Regulated realestateinvestmentvehicles
The types of regulated vehicles that do not benefit from the UCITS directive
provisions but may be used in different circumstances depending upon
investor requirements are as follows:
> Part II Fund, under the law of 17 December 2010;
> SIF, under the law of 13 February 2007; as subsequently amended
> SICAR, under the law of 15 June 2004; as subsequently amended
> Regulated SVs, under the law of 22 March 2004.
Unregulated realestateinvestmentvehicles
The most common unregulated realestateinvestment vehicle is the
SOPARFI. SOPARFIs are fully taxable companies that may benefit from the
participation exemption regime on equity investments in both domestic and
foreign companies.
The securitization vehicles (SV) can also exist as non-regulated entities if
they only carry out (i) private placements or (ii) public placements but on an
irregular basis.
Undertakings for
Collective Investment
(UCIs) -
law of
20 December 2002
Undertakings
for Collective
Investments
(UCIs) –
Part II law of
17 December
2010
Undertakings
for Collective
Investments
(UCIs) –
Part II law of
17 December
2010
Specialised Investment
Funds (SIFs) - law of
13 February 2007
as amended
Risk Capital Companies
(SICARs) - law of
15 June 2004
as amended
Regulated
Securitization Vehicles
(SVs) - law of
22 March 2004
Unregulated
Securitization Vehicles
(SVs) - law of
22 March 2004
SOPARFIs / Others
Investor Protection
+
-
Luxembourg RealEstateInvestmentVehicles2012 | 5
SIF (2007 law) SICAV-SA
SIF (2007 law) FCP
SICAR-SA
SIF (2007 law) SICAV-SCA SIF (2007 law) SICAF-SA
SIF (2007 law) SICAV-S.à r.l.
Part II (2010 law) FCP
Legal regime and structure combined
Source: ALFI: LuxembourgRealEstate Fund Survey 2011, Data as of 31 December 2010
Part II (2010 law) SICAF
SICAR-SCA etc
SICAR-S.à r.l.
Popular regulated realestatevehicles and features
The majority of realestate funds fall under the SIF law. This reflects the
popularity of this regime for realestate fund promoters for a flexible onshore
investment fund vehicle for all types of alternative investment fund products
including direct realestate funds and funds of realestate funds.
6 | LuxembourgRealEstateInvestmentVehicles 2012
Core
Value-Added
Opportunity
Investment Style
Source: ALFI: LuxembourgRealEstate Fund Survey 2011 - Direct Funds
IFRS
LUXGAAP
Accounting Standards
Source: ALFI: LuxembourgRealEstate Fund Survey 2011 - Direct Funds
0
5,000
10,000
15,000
20,000
25,000
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011
3.235
469
1.927
2.343
2.280 3.730 4.705 7.315 6.180 4.126 3.846
3.047
280
146 369
522
850
1.557
3.307
8.131
14.746
14.839
17.580
20.036
Net assets under management in Luxembourgrealestate funds
Source: ALFI: LuxembourgRealEstate Fund Survey 2011
Part II (2002 Law / 2010 Law) Institutional Funds / SIF
(Law of 13 February 2007)
Luxembourg RealEstateInvestmentVehicles2012 | 7
Monthly
Annual
Semi-Annual
Quarterly
Frequency of NAV calculation
Source: ALFI: LuxembourgRealEstate Fund Survey 2011 - Direct Funds
8 | LuxembourgRealEstateInvestmentVehicles 2012
Undertakings for collective investment, established in accordance with
Part II of the law of 17 December 2010 are those destined to the retail market.
Following the introduction of the specialised investment fund regime,
the Part II fund as a realestate vehicle has significantly declined.
Further details relating to Part II funds are outlined below.
Part II UCIs may take the form of a SICAV, SICAF or FCP,
certain characteristics being outlined in the table below.
Undertakings
for Collective
Investments
(UCIs)
Under Part II of the law
of 17 December 2010
SICAV / SICAF FCP
Legal structure Legal entity Not a legal entity. The FCP is a
contractual fund structure managed
by a management company.
Legal requirement for Management
Company
No Ye s
Governance body Board of directors of SICAV / SICAF Board of directors of the management
company
Voting rights Investors are always entitled to vote as
they are shareholders of the company.
Investors are entitled to vote to the extent
that the management regulations provide
the possibility.
Annual general meetings Ye s For management company only
Tax transparency Not tax transparent Tax transparent
Responsibility of depositary Standard Additional oversight and control
responsibilities compared to a
SICAV / SICAF
Decision to liquidate Annual or extraordinary general meeting Management company
[...]... being exempt (e.g in the context of reorganizations) The transfer tax is payable by the buyer of the Luxembourgrealestate property 32 | Luxembourg Real EstateInvestment Vehicles 2012LuxembourgRealEstateInvestmentVehicles2012 | 33 Appendix 34 | LuxembourgRealEstateInvestmentVehicles2012 Appendix 1 Comparison of RealEstateVehicles Legal and regulatory requirements Part II Fund Applicable... the disposal operation Direct realestate investments Luxembourg companies are also often used for direct realestate investments The Luxembourg transfer tax on the acquisition of realestate located in Luxembourg amounts to 7% or 10% (6% registration duty, 3% surcharge for realestate situated in Luxembourg City, 1% transcription duty), the contribution of Luxembourgrealestate being either subject... acquisition A taxable gain is subject to 22.05% corporate income tax in 2012 if realized by a non-resident corporate shareholder Luxembourg RealEstateInvestmentVehicles2012 | 31 The capital gain on sale of shares in a Luxembourg company may also be taxable in Luxembourg if the non-resident shareholder has been resident in Luxembourg during more than 15 years and has become non-resident in Luxembourg. .. Net wealth tax SICARs are exempt from the annual 0.5% wealth tax Capital gains realized by non-residents Non-residents are exempt from Luxembourg income tax on capital gains realized on the disposal of shares of a SICAR 1 Bill N°5201, p22 Luxembourg RealEstateInvestmentVehicles2012 | 21 Securitization Vehicles (SVs) In 2004, Luxembourg introduced an attractive legal, regulatory and tax framework... basically treated as resident taxpayers, they are specifically exempt from income and net wealth tax While investors resident in Luxembourg are subject to normal income tax on their income from investment funds, there is usually no Luxembourgtax on foreign investors Luxembourg levies no withholding tax on distributions paid 10 | Luxembourg Real EstateInvestment Vehicles 2012 by investment funds, except... share-by-share basis 30 | Luxembourg Real EstateInvestment Vehicles 2012 Exemption from withholding tax on dividends - no participation exemption applies Where the conditions of the Luxembourg participation exemption are not met, 15% withholding tax is levied on dividends distributed by a Luxembourg resident and fully taxable corporation This rate may be reduced even to 0% under applicable tax treaties... a 14.40% in 2012 effective tax rate, if they are paid by: > fully taxable resident corporation; or A > corporation resident in a country with which Luxembourg has signed A a tax treaty and that is fully subject to income tax comparable to the Luxembourg corporate income tax; or > company that is covered by the Parent-Subsidiary Directive A LuxembourgRealEstateInvestmentVehicles2012 | 29 Exemption... with investments in risk-bearing capital (e.g interest earned after 12 months, management fees, etc.) is subject to normal income tax Losses and deductions relating to tax exempt income may not be offset against taxable income 20 | Luxembourg Real EstateInvestment Vehicles 2012 A SICAR established in the form of a limited partnership will be treated as a tax transparent entity for Luxembourgtax purposes... well as alternative investments - for example transferable securities, money market instruments, real estate, hedge fund strategies and private equity 12 | Luxembourg Real EstateInvestment Vehicles 2012 The SIF law does not provide for investment restrictions but refers to the concept of risk-spreading This concept is more fully described in CSSF Circular 07/309 relating to risk-spreading in the context... 2012 | 25 Double tax treaty protection and access to EU Parent-Subsidiary Directive From a Luxembourg perspective, SCs benefit from the EU Parent-Subsidiary Directive and the double tax treaties concluded by Luxembourg as they are fully taxable corporations The Luxembourgtax authorities issue certificates of Luxembourgtax residency for SCs upon request Indirect taxes The only indirect tax due on incorporation . Luxembourg Real Estate Investment Vehicles KPMG AUDIT - TAX - ADVISORY Luxembourg Real Estate Investment Vehicles 2012 kpmg.lu Luxembourg Real Estate Investment Vehicles 2012 | 1 Table. of Real Estate & Infrastructure, Luxembourg Introduction Luxembourg Real Estate Investment Vehicles Luxembourg Real Estate Investment Vehicles 2012 | 3 Luxembourg offers a full range of vehicles. number of Luxembourg regulated real estate fund units Source: CSSF Annual Report 2011 Part II Institutional Funds/SIF 4 | Luxembourg Real Estate Investment Vehicles 2012 Regulated real estate investment