Publication
The next frontier: Offshore wind development in Asia
In the face of significant global headwinds in the sector, green shoots are emerging in 2025 for offshore wind in Asia after a turbulent 24 months.
Global | Publication | July 2019
With effect from April 2019, the UK will introduce a tax for non-UK residents who dispose, directly or indirectly, of UK commercial property. While capital gains on closely held residential property is already subject to tax, this extension to commercial property is a key change for investors. The impact of this change may lead to a reconsideration of the optimal property holding structure.
It is key to understand the impact on the financial modelling of the different scenarios. Going forward, there may be little to choose from in UK tax terms between investing via a UK company or a non-UK company in a low tax jurisdiction. The current rate of corporation tax is lower than the income tax rate, a position that has changed considerably over the last few years (the rate of income tax was historically lower than the rate of corporation tax). As the capital gains tax benefit of holding property through a non-UK resident company may no longer be relevant for new acquisitions, the question of where to incorporate the property holding vehicle may become more one of practical convenience rather than tax being a driving factor. In all cases, consideration should be given as to how the investor is taxed in its home jurisdiction.
Tax Year 2018/2019 |
Non-Resident Investor | Non-resident company | Non-resident individual | |
---|---|---|---|---|
UK Companyo | Income | - | 19 | 19 |
Disposal by company | - | 19 | 19 | |
Exit by investor | - | 0 | 0 | |
Non Resident Companyo | Income | - | 20 | 20 |
Disposal by company | - | 0 | 0 | |
Exit by investor | - | 0 | 0 | |
Real Estate Investment Trusto | Income | - | 20 | 20 |
Disposal by company^ | - | 0 | 0 | |
Exit by investor | - | 0 | 0 | |
Tax Year 2019/2020 |
Non-Resident Investor | Non-resident company | Non-resident individual | |
UK Companyo | Income | - | 19 | 19 |
Disposal by company | - | 19 | 19 | |
Exit by investor | - | 0/19* | 0/20* | |
Non Resident Companyo | Income | - | 20 | 20 |
Disposal by company^^ | - | 19 | 0 | |
Exit by investor | - | 0/19* | 0/19* | |
Real Estate Investment Trusto | Income | - | 20 | 20 |
Disposal by company^ | - | 0 | 0 | |
Exit by investor | - | 0/19** | 0/20** | |
Tax Year 2019/2020 |
Non-Resident Investor | Non-resident company | Non-resident individual | |
UK Companyo | Income | - | 17 | 17 |
Disposal by company | - | 17 | 17 | |
Exit by investor | - | 0/17* | 0/20* | |
Non Resident Companyo | Income | - | 17 | 17 |
Disposal by company^^ | - | 17 | 17 | |
Exit by investor | - | 0/17* | 0/20* | |
Real Estate Investment Trusto | Income | - | 20 | 20 |
Disposal by company^ | - | 0 | 0 | |
Exit by investor | - | 0/17** | 0/20** |
* Taxable where non-resident investor has interest of 25 per cent or more (during the last two years) in a vehicle, deriving at least 75 per cent of value from UK land, otherwise not taxable
** If a Real Estate Investment Trust is a “collective investment scheme” or “alternative investment fund”, the gain on exit will be taxable, otherwise not expected to be taxable
^ While a Real Estate Investment Trust is not subject to capital gains tax on disposals of UK property, there is a 20 per cent withholding applied when gains are distributed to shareholders as a Property Income Distribution
^^ Only gains accruing on or after April 2019 are subject to tax
° UK stamp duty at 0.5 per cent is payable on the consideration for a sale of UK shares; UK SDLT is payable on transfers of UK land; VAT may be chargeable in some circumstances.
Publication
In the face of significant global headwinds in the sector, green shoots are emerging in 2025 for offshore wind in Asia after a turbulent 24 months.
Publication
Charlotte Hillyard, Senior Innovation Lawyer in the Innovation Design and Technology team and one of Norton Rose Fulbright's Generative AI leads, will be sharing her insight at several prominent legal technology events in the coming week.
Publication
On 6 March 2025, the National Development and Reform Commission (NDRC), the Ministry of Industry and Information Technology (MIIT), the Ministry of Commerce (MOFCOM), the National Data Administration and the National Energy Administration (NEA) jointly released Opinions on Promoting High-quality Development of the Renewable Energy Green Electricity Certificate Market (关于促进可再生能源绿色电力证书市场高质量发展的意见) (the Opinions).
Subscribe and stay up to date with the latest legal news, information and events . . .
© Norton Rose Fulbright LLP 2025