Leon Steenkamp
Head of Tax Insurance, UK
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United Kingdom
As high interest rates and a global economic slowdown continue to hinder dealmaking activity, many private equity funds are holding their portfolio companies for longer than initially anticipated.
Consequently, focus has increased on refinancing transactions due to debt facilities approaching maturity and the desire to create a liquidity or repatriation event. These transactions may introduce various tax risks that can result in unforeseen tax leakage and adversely impact investment returns. Tax insurance is an effective way of addressing these risks to maximise the repatriation of cash proceeds to shareholders, preserve internal rate of return (IRR), and provide comfort to lenders when negotiating financing packages.
A European portfolio company planned to refinance existing third-party debt facilities. Seeking to use a portion of the new debt proceeds to fund a repatriation to investors by way of a repayment of share premium, the company encountered the following tax risks:
Both tax risks were insured to protect the company from any successful challenge by the relevant tax authorities. In addition to the estimated tax liability, interest, and penalties the tax insurance policies also covered any risk of advance tax payments being required in case of dispute, and defence costs and gross-up (in case the insurance pay-out was taxed in the jurisdiction of the insured).
Regarding the withholding tax risk, the average cost of the insurance was between 1% and 2% of the insurance limit and between 2% and 3% for the interest deductibility risk (both one-off payments of insurance premium). Additionally, the excesses and retentions for both policies were low.
In addition to the refinancing risks considered above, other tax risks — unrelated to M&A activity and typically insurable — include the following:
Restructuring
Transferring tax risks such as the risk of tax neutral treatment not applying to an insurer.
Cash repatriation
Tax insurance can be used to protect companies and investors against taxes being applied to cross-border flows such as dividends, interest, and royalties by mitigating withholding tax risks. This can be achieved by insuring the application of tax treaty provisions.
Operational
Tax insurance can help businesses gain certainty for tax treatment on day-to-day operating matters such as tax residency, VAT, and transfer pricing, for example.
Balance sheet provisions
Tax insurance can be used to reverse provisions surrounding uncertain tax positions where the underlying matter is insured.
The tax insurance product has evolved tremendously over previous years to become a valuable tool for managing tax risks — including those which fall outside of M&A activity. Therefore, private capital funds are actively encouraged to consider tax insurance as a method to effectively manage tax risks affecting their portfolio companies.
Head of Tax Insurance, UK
United Kingdom