Carey Olsen
  September 2, 2022 - Bermuda, Bermuda

New UK funds regime presents Guernsey opportunity
  by Matthew Brehaut

What is the intention of the new regime?

By replicating and improving upon successful asset holding structures adopted by fund managers in jurisdictions like Luxembourg, the QAHC regime is intended to bolster the UK funds industry by facilitating greater UK-based fund activities, amending certain aspects of the UK tax system which have hitherto made UK vehicles unattractive as asset holding companies ("AHCs").

This is expected to be particularly attractive to investment businesses which have existing substance and/or investments in the UK, by providing an efficient way to hold UK and non-UK investments from both an administrative and tax perspective.

Which entities can elect to be classified as a QAHC?

To be eligible for the QAHC regime:

What are the UK tax benefits?

The principal benefits of the QAHC regime are:

What does a UK regime have to do with Guernsey?

The AHC must be tax resident, but not necessarily incorporated, in the UK. A company incorporated and registered in Guernsey may elect to become tax resident in the UK before electing into the QAHC regime.

This is facilitated by the changes to Guernsey’s corporate tax residence rules in 2019, which clarified the position in relation to tax for a Guernsey company migrating its tax residence out of Guernsey.

Using a Guernsey company has the following benefits compare to using a UK company:

Guernsey also benefits from its political and economic stability, its trusted legal system, its tax neutrality; its pragmatic and proportionate regulation and its world class legal, accounting and administration service providers.

 

An original version of this article was first published by Business Brief, August 2022. 




Read full article at: https://www.careyolsen.com/articles/new-uk-funds-regime-presents-guernsey-opportunity