Taxation and Revenue Sharing: Taxation and Revenue Sharing
Philip Daniel
Fiscal Affairs Department
International Monetary Fund
Establishing Good Governance
Plenary Session
World Mines Ministries Forum, Toronto
March 1, 2008
The views in this presentation are those of the author and should not be attributed to the International Monetary Fund, its Executive Board, or its management.
Purpose and outline: Purpose and outline Consider preconditions for investment in minerals
Outline a general approach to mineral taxation practice
Consider issues and trends in mineral taxation
Outline some country comparisons
Taxation and transparency
Draw some provisional lessons
The presentation assumes a focus on a fiscal regime for private (often foreign) investment
A view from an investor: A view from an investor Is there anything there?
Can we extract it?
Can we ship it out?
Can we get our money back?
Can we make a profit?
Who is going to sue us?
Pre-conditions for private investment: Pre-conditions for private investment Geology and infrastructure
Secure title to mining rights
Satisfactory and stable fiscal regime
Stability in environmental management
Right to market mine products
Right to assign
Foreign exchange retention
International arbitration
Freedom of commercial operation
Mineral rent – value of the resource: Mineral rent – value of the resource Value of the product of a mineral resource minus all necessary costs of production, including minimum return to capital required to induce investment
Taxation of rent is not easy…
Uncertainty about grades, costs and prices means resource rent cannot be accurately assessed in advance
The investor’s required rate of return is difficult to identify
The manner in which tax is imposed may affect investors’ perceptions of risk, and thus the required return
Taxing the whole of resource rent is unlikely to be either feasible or efficient
Stability and instability in fiscal terms
Principles for a mineral tax regime: Principles for a mineral tax regime Fiscal regime for minerals cannot move too far out of line with that of countries with competing deposits (with due regard to specific conditions)
Avoid additions to investor risk, where possible, aiming both at more investment and higher shares of rent
Aim for tax neutrality (tax rent), recognizing need for special mineral tax devices
Consider both tax burden and tax structure
Decide which margin is important, and periodically review
Pursue stability and transparency, likely to be easier in a generally applicable regime, or open bidding round, than case-by-case negotiation.
Slide8: Tax Burden: Changes in Share of Total Benefits Tax share of total benefits + Project pre-tax rate of return
+ Progressive Regressive
Design of a fiscal regime: Design of a fiscal regime Balance two sets of considerations
Minimize additional risk to investor of absolute loss; tax realized rent once known, rather than fallible forecast
Offer prospect of stability of fiscal terms: feasible only if the terms offer government revenue share that is perceived to be fair
Implied structure
Measures to facilitate early payback (accelerated depreciation, modest royalty)
Focus on taxation of profit (not inputs or gross output), minimizing divergence of pre- and post-tax rates of return
Include some device providing early revenue to government (if only for political support for fiscal stability)
Ensure that the proportion of the rent eventually taxed is high enough to outweigh temptation for future governments to change terms, subject adequate incentive to investors and compensation for risk.
Individual Tax Instruments: Individual Tax Instruments ROYALTY
Most common form is proportion of value of minerals extracted
Identical to effect of a once-for-all increase in extraction cost, and thus reduces value of the resource
Royalty rates of 5 to 10 percent are prevalent for oil and diamonds, but around 3 percent for metal minerals
CORPORATE INCOME TAX
Imposed nearly everywhere, but CIT is not a particularly efficient instrument
CIT rates have settled in the 25 to 35 percent range
TAXES ON INPUTS
Import duties and VAT, and withholding taxes on payments for services, form important parts of the tax base in many countries
Additional taxation: Additional taxation Resource rent tax
Taxation of cash flows exceeding a specified rate of return in a life of project calculation
Efficient especially where costs of failed exploration can also be recouped
Variable income tax or profit-related royalty
Typically varies the rate of CIT, or royalty, according to the ratio of taxable income (or working costs) to total revenues
Can reduce the dispersion of expected outcomes and therefore investors’ assessment of risk may improve
Applied in Ghana’s variable royalty scheme, as an elective scheme for gold mines in South Africa, and under present mining tax regime in Botswana and Uganda.
Price participation arrangements
Typically changes the sharing of proceeds when certain threshold prices for commodities are exceeded; sometimes termed a price-related royalty
A blunt, and distorting, that instrument that does not (usually) take account of grades or costs; may be hedged around with conditions
Exists in the Zambian copper industry (underlies new Mongolian legislation, and voluntary contributions in Peru)
Profit Sharing Formula (diamonds in Botswana and Namibia)
Current mineral tax issues: Current mineral tax issues Lack of responsiveness of fiscal systems to changes in commodity price environment (a special problem where tax holidays leave royalty as the only effective instrument)
Legacy of special agreements made post conflict, or in “distress” privatizations
Tendency to ignore legislated regimes when under pressure for a desirable investment
Risk of extension of privileged terms to new areas
Relationship of fiscal stability assurances to the tax system
Reliance on CIT system, and thus exposure to excessive debt interest
Transfer pricing, assessment and audit problems generally
Use of EPZ schemes to locate processing, or even mining
Mining tax regimes appear less efficient than most of the petroleum regimes
Comparisons: simulating a gold project: Comparisons: simulating a gold project The following two charts compare fiscal regimes, using a stylized gold project
Total output just under 600,000 ounces, over 8 years; US$60 million capital costs; operating and replacement costs average about $25 million p.a.
Chart 1 plots government share of benefits (at 10% discount rate) as project pretax rate of return rises (“benefits” means revenues less operating and replacement costs – the money generated to repay the providers of capital and pay taxes)
Chart 2 shows the government share of net cash flow (at 10% discount rate) in a single case at prices projected by IMF (WEO), constant in real terms after 2012
Taxation and transparency: Taxation and transparency Extractive Industries Transparency Initiative (EITI)
Starts from reconciliation of payments and revenues
20 + implementing governments
Kimberley Process Certification Scheme
Certifies origin of diamonds in legal production
Safeguards position of legitimate producers when diamonds are traded
Supports tax administration for diamond production and trade
IMF Guide on Resource Revenue Transparency
Part of Fiscal ROSC process – a voluntary engagement
Full public presentation of legal basis for taxation or production sharing
Encourages publication of mineral agreements covering fiscal terms
Public accountability of national resource companies
Some lessons?: Some lessons? Mineral tax regimes should respond robustly and flexibly to changes in prices and costs
A variety of instruments may be needed to meet multiple objectives, and also to reduce distortions inherent in some common devices
Mineral rent is the preferable tax base, but not easy to target
The overall impact is more important than any single instrument
Poor macroeconomic management and institutional failings complicate mineral tax regimes, and increase investor risk premia
Neutrality does not require the same tax regime as for other industries
Investor confidence, once lost, may be hard and expensive to recover
Fiscal stability assurances have a place, if necessary, when combined with additional tax devices that assure government of a share in substantial rents
A general regime that is regularly reviewed (new generations) is preferable to single project, negotiated terms – although these may be needed in exceptional circumstances (post conflict, privatization).