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than would otherwise be the case

  • 1 tonnage tax company

    гос. фин., брит. судоходная компания, платящая налог с тоннажа* !
    возможно, нужно новое подзначение к tonnage tax! ссылок маловато, в основном в этом законодательном акте. не разобралась до конца!
    http:www.opsi.gov.uk/acts/acts2000/00017-cg.htm
    "
    1. - (1) This Schedule provides an alternative regime (""tonnage tax"") for calculating the profits of a shipping company for the purposes of corporation tax.
    " "
    (2) The regime applies only if an election to that effect ( a ""tonnage tax election"") is made (see Part II of this Schedule).
    "
    Companies that are members of a group must join in a group election.
    (a) the company or group is a qualifying company or group (see Part III of this Schedule), and
    (b) certain requirements are met as to training (see Part IV of this Schedule) and other matters (see Part V of this Schedule).
    "
    2. - (1) In this Schedule a ""tonnage tax company"" or ""tonnage tax group"" means a company or group in relation to which a tonnage tax election has effect.
    "
    (2) References in this Schedule to a company entering or leaving tonnage tax are to its becoming or ceasing to be a tonnage tax company.
    References to a company being subject to tonnage tax have a corresponding meaning.
    3. - (1) In the case of a tonnage tax company, its tonnage tax profits are brought into charge to corporation tax in place of its relevant shipping profits (see Part VI of this Schedule).
    (2) Where profits would be relevant shipping income, any loss accruing to the company is similarly left out of account for the purposes of corporation tax.
    Tonnage tax profits: method of calculation
    4. - (1) A company's tonnage tax profits for an accounting period are calculated in accordance with this paragraph by reference to the net tonnage of the qualifying ships operated by the company.
    For the purposes of the calculation the net tonnage of a ship is rounded down (if necessary) to the nearest multiple of 100 tons.
    (2) The calculation is as follows:
    Step One Determine the daily profit for each qualifying ship operated by the company by reference to the following table and the net tonnage of the ship:
    For each 100 tons up to 1,000 tons
    £0.60
    For each 100 tons between 1,000 and 10,000 tons
    £0.45
    For each 100 tons between 10,000 and 25,000 tons
    £0.30
    For each 100 tons above 25,000 tons
    £0.15
    Step Two Work out the ship's profit for the accounting period by multiplying the daily profit by-
    (a) the number of days in the accounting period, or
    (b) if the ship was operated by the company as a qualifying ship for only part of the period, by the number of days in that part.
    Step Three Follow Steps One and Two for each of the qualifying ships operated by the company in the accounting period.
    Step Four Add together the resulting amounts and the total is the amount of the company's tonnage tax profits for that accounting period.
    Tonnage tax profits: calculation in case of joint operation etc.
    5. - (1) If two or more companies fall to be regarded as operators of a ship by virtue of a joint interest in the ship, or in an agreement for the use of the ship, the tonnage tax profits of each are calculated as if each were entitled to a share of the profits proportionate to its share of that interest.
    (2) If two or more companies fall to be treated as the operator of a ship otherwise than as mentioned in sub-paragraph (1), the tonnage tax profits of each are computed as if each were the only operator.
    6. - (1) References in this Schedule to the gross or net tonnage of a ship are to that tonnage as determined-
    "
    (a) in the case of a vessel of 24 metres in length or over, in accordance with the IMO International Convention on Tonnage Measurement of Ships (ITC69);
    "
    (b) in the case of a vessel under 24 metres in length, in accordance with tonnage regulations.
    (2) A ship shall not be treated as a qualifying ship for the purposes of this Schedule unless there is in force-
    (a) a valid International Tonnage Certificate (1969), or
    (b) a valid certificate recording its tonnage as measured in accordance with tonnage regulations.
    "
    (3) In this paragraph ""tonnage regulations"" means regulations under section 19 of the Merchant Shipping Act 1995 or provisions of the law of a country or territory outside the United Kingdom corresponding to those regulations.
    "
    + мультитран:
    6.05.2006 11:56
    Тема сообщения: tonnage tax company
    Пожалуйста, помогите перевести.
    tonnage tax, если верить Мультитрану - корабельный сбор, а как это к company применить не представляю. компания, подлежащая обложению корабельным сбором?? - чушь какая-то...
    Помогите, плиз!
    Заранее спасибо Mt | Google
    6.05.2006 12:07
    "
    Tonnage Tax - это такой вид налогообложения судоходных компаний (пароходств), при котором размер налога рассчитывается в зависимости от чистой регистровой вместимости судов, составляющих флот компании (т.н. ""налог на тоннаж""). Tonnage tax company - компания подлежащая такому виду налогообложения.
    "
    Некоторые налоговые изменения коснутся мореходных компаний, для которых !подоходный налог! будет заменен на !налог с тоннажа! судна.

    Англо-русский экономический словарь > tonnage tax company

  • 2 soft dollaring

    See:
    Another reason managers are interested in controlling client commissions deserves special attention. "Soft dollaring" has got to be one of the most misunderstood and controversial practices in the money management business. The very term "soft dollars" suggests something shady and conjures up images of money exchanging hands in dark alleyways. Among laymen, soft dollars may be confused with "soft money" political contributions. There is a thin connection between "soft dollars" and "soft money." Since brokerage firms are not subject to the same rules pertaining to political contributions as municipal underwriting firms, large "soft money" contributions from owners of brokerage firms do find their way into politicians' coffers more easily than contributions from underwriters. However, it is important to not confuse the two terms.
    So what is "soft dollaring?" Soft dollaring is the practice whereby money managers use client brokerage commissions to purchase investment research. When a manager pays for products or services with his own money, directly from the research provider, this is referred to as "hard dollars." Payment with client commissions, financed through a brokerage firm, is referred to as "soft dollars." Through soft dollar arrangements money managers are permitted to shift an expense related to the management of assets they would otherwise have to bear, onto their clients. The amount of this research expense the money management industry transfers onto its clients is in the billions annually. As a result, any analysis of the economics of the money management industry should include the effects of soft dollaring; however, we are unaware of any that has. In the institutional marketplace, strange as it may seem, it is possible for a money manager to profit more from soft dollars than from the negotiated asset management fee he receives.
    The general rule under the federal and state securities laws is that a fiduciary, the money manager, cannot use client assets for his own benefit or the benefit of other clients. To simplify matters greatly, soft dollaring is a legally prescribed exception to this rule. Congress, the SEC and other regulators have agreed that as long as the research purchased assists the manager in making investment decisions, the clients benefit and its legally acceptable. A tremendous amount of strained analysis has gone into the precise policies and procedures that managers must follow in purchasing research with client commission dollars. Over the years a distinction has been made between "proprietary" research or in-house research distributed to brokerage customers without a price tag attached and "independent third-party" research or research written by a third party and sold to managers at a stated price. Third party research has been most frequently criticized because its cost is separately stated and the benefit to managers most obvious. In this latter case, a breach of fiduciary duty seems most glaring. However, it is well known that proprietary research, offered for "free, " is produced to stimulate sales of dealer inventory. So presumably this research lacks credibility and is less beneficial to clients. There have been distinctions drawn between products and services, such as computers, which are "mixed-use, " i.e., which may serve dual purposes, providing both research and administrative uses. An adviser must make a reasonable allocation of the cost of the product according to its uses, the SEC has said. Some portion must be paid for with "hard" dollars and the other with "soft." There are several articles in our Library of Articles that describe soft dollar practices, rule changes and our proposal to Chairman Levitt to reform the soft dollar business.
    The issue that soft dollaring raises is: when is it acceptable for a manager to benefit from his client's commissions? For purposes of this article we would like to introduce a new and more useful perspective for pensions in their analysis of soft dollars or any other brokerage issue. That is, all brokerage commissions controlled by managers, benefit managers in some way. Brokerage decision-making by managers rarely, if ever, is simply based upon what firm can execute the trade at the best price. Brokerage is a commodity. Almost all brokerage firms offer reasonably competent, "best execution" services. If they didn't, they'd get sued and soon be out of business. Most savvy brokerage marketers don't even try to differentiate their firms with long-winded explanations about best-execution capabilities. Best execution is a given and impossible to prove. If you want to understand how your money manager allocates brokerage, study his business as a whole, including his marketing and affiliates-not just the investment process.

    The new English-Russian dictionary of financial markets > soft dollaring

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