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South African REITs: 2 Years Onward SA-REITs Association 22 October 2014 Economic Fundamentals Page 2 Property as a Recognised Asset Class ► Listed financial instruments (recognised) ► ► ► Property: ► ► ► ► ► REITs (recognised) Unlisted property vehicles Hedge Funds (recognised) Infrastructure projects Private Equity ► ► Page 3 Debt Shares Large Venture capital (recognised) Property Types ► Retail ► ► ► ► Office Industrial ► ► ► ► ► ► ► Page 4 Logistics Light industrial Other ► ► Full malls Strip malls Hotels (very few) Residential (low yield) Power stations (not yet) Healthcare (not yet) Retirement (not yet) Mortgage REITs REIT Investor Objectives (Yield and Growth Mix) Distributions ► Historic ► ► ► ► New REITs (JSE) ► ► ► ► Dual-linked units Legal contractual right to annual distributions Typically 95%+ of profits Shares 75% minimum distribution requirement Typically 95%+ of profits Yield (amount versus sustainability) Page 5 Net Asset Value (Upon Exit) ► Method ► ► ► Sale to other investors No required redemptions Basis for growth ► ► Management Property selection Developmental Property Investments ► Institutional ► ► ► 70/30 Annual yield subsidises development Stand-alone ► ► Build or improve Goals ► ► ► ► Page 6 Future annual yield Reinvest Cash-out Not suitable for forced annual payouts Economic Climate Recent History ► History ► ► ► ► ► ► Page 7 ► 2004-2014: Unprecedented Slowing expected Listings ► Threats Currently 20+ Many recent listings Industry consolidation Phase-out of PUTs Low local growth ► ► ► ► Tenant risk Cannibalisation Rising interest rates & currency risk Rising costs ► ► Property rates Electricity Tax Paradigm Page 8 Requirements for REITs (JSE and Tax) GROSS ASSETS • Comply as a Property entity & section 13 of JSE Listing Requirements • 75% = rental income • Management to monitor risk DEBT : EQUITY • Confirm ratio is below 60% • Latest consolidated IFRS financial statements • Undertaking to restrict debt risk to increase on going basis DISTRIBUTION • Distribute at least 75% of its taxable earnings available for distribution to its investors each year • Tax disincentive to retain net income Page 9 Tax Treatment for REITs (Established Principles) ► ► Page 10 Operating Level ► Normal tax principles generally apply ► However, ► Property sales are generally exempt from capital gains ► No depreciation of building structures (but plant/machinery can be depreciated) ► Disposal of financial instruments are taxed as ordinary revenue unless relating to qualifying property investments Distributions ► Distributions in respect of shares are deductible ► 75% threshold ► Effectively eliminates REIT net income ► Distributions generate ordinary revenue for domestic holders (often applied against investor borrowing) Operational Technical Shortcomings ► Distributions ► ► ► Preserving deductions ► ► ► Depreciation for plant and machinery appears to be required Deductible donations are effectively meaningless Foreign currency ► ► ► Timing mismatch (75% threshold versus income/deductions) Liquidations and unbundlings are taxable even though these distributions are largely capital in nature Foreign currency is taxed/deducted on a mark-to-market basis even though these gains and losses do not match cash-flows Very difficult to use currency hedges against dollar distributions Disposal of subsidiaries of no greater than 20% ► Page 11 Taxed as ordinary revenue even if the subsidiary is property-rich Foreign REITs ► ► ► Form governs Property trusts are probably flow-through entities (class put model) Property companies ► ► Page 12 Probably CFCs Active but exempt only if employees are located in the same entity Outsiders Institutional ► Pension funds ► ► ► Private PIC/GEPF Long-term insurers ► ► Page 13 Big four Untaxed policyholder funds Smaller players ► Little PLSs ► Flow-through ► ► Trusts En commandite partnerships Relief for Unlisted (Pending?) Current Situation ► ► ► No regulations for unlisted property vehicles Pension funds and insurers received temporary relief for continued flow-through until 2016 No relief for unlisted property vehicles held by private individuals/companies Page 14 Regulations? ► ► ► ► ► ► 75% distribution requirement 75% rental income Gearing – 60%? Asset-size Professional sales requirement? Restrictions against capital distributions? Continental Africa Page 15 Continental Africa as an Investment Destination? ► Countries of interest? ► ► ► ► ► ► Nigeria Kenya Zambia Ghana Angola Risks ► ► ► ► Page 16 Insecurity of tile Too many smaller markets Corruption and red tape Lack of local financing Continental African Tax Distributions ► High-withholding rates ► ► ► ► ► Rise of capital gains tax on: ► Dividends Interest Treaty relief unexciting Dual-linked units generally respected (i.e. deductible interest) Page 17 Exit ► ► ► Immovable property company shares All shares Rise of indirect sale regimes (property and non-property) Generally no property investment vehicle relief (except a few such as Nigeria and Kenya and largely unworkable) CV & qualifications Keith Engel Director – Tax Policy Africa Direct Tel: +27 11 772 5082 Mobile: +27 82 455 5597 Fax: +27 11 772 5748 Email: [email protected] Background ► Keith joined EY on 15 June 2013 as the Tax Partner responsible for Tax Policy across Africa. He has many years of experience as a Tax Professor and as Chief Director of tax legislation within the SA National Treasury. Part of Keith's role at EY is to advise African governments on tax legislation and operations so these governments can achieve more stable revenues without undermining economic growth. Real estate experience Government experience ► ► ► ► Skills ► In his capacity as Chief Director, Keith was the driving force behind the South African REIT legislation ► ► Many speeches involving REITs ► ► Private advice involving REITs ► Continued involvement in REIT policy issues and REIT dividend withholding Page 18 South African Treasury (Tax Legislation and Policy) South African Revenue Service (Large Business Centre) US Internal Revenue Service (regulations and private rulings US Court of Federal Claim (Tax Opinions ► BSc Juris Doctorate Master of Laws in Taxation EY | Assurance | Tax | Transactions | Advisory About EY EY is a global leader in assurance, tax, transaction and advisory services. The insights and quality services we deliver help build trust and confidence in the capital markets and in economies the world over. We develop outstanding leaders who team to deliver on our promises to all of our stakeholders. In so doing, we play a critical role in building a better working world for our people, for our clients and for our communities. © 2013 EYGM Limited. All Rights Reserved. EY refers to the global organization and/or one or more of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young Global Limited, a UK company limited by guarantee, does not provide services to clients. For more information about our organization, please visit ey.com. This publication contains information in summary form and is therefore intended for general guidance only. It is not intended to be a substitute for detailed research or the exercise of professional judgment. Neither EYGM Limited nor any other member of the global Ernst & Young organisation can accept any responsibility for loss occasioned to any person acting or refraining from action as a result of any material in this publication. On any specific matter, reference should be made to the appropriate advisor. ey.com