From SCDigest's On-Target e-Magazine
- Oct. 29, 2014 -
Supply Chain News: Procurement, Tax Considerations, and a Procurement Operating Company Part 2
With a Global Procurement Center in Low Tax Location, Companies Need to Optimize Legal Title Flows of Procured Goods and Materials
SDigest Editorial Staff
In part 1 of this series, we summarized an interesting article from a group of Deloitte Tax partners published in the International Tax Review Journal that argued the procurement and tax management groups within a company need to work more closely together to make optimal sourcing decisions.
Towards that end, the authors also suggested that more companies should consider the creation of a "Procurement Operating Company" (POC), in which strategic procurement functions are co-located in a tax-efficient jurisdiction such as Ireland, the Netherlands, Switzerland, or Singapore, in support of local procurement activities. (See Procurement, Tax Considerations, and a Procurement Operating Company.)
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There is strong evidence that multi-national companies that put in the effort to create tax-efficient supply chains are well rewarded for their work |
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This week, with the concept of a POC established, we'll look at how it should interact with local procurement functions and critically, what will be the legal title flows of procurement goods must be designed.
Deloitte, however, says a POC should not be a one-size-fits-all approach to defining the correct tax-aligned procurement model.
While some company's look at procurement globally, so that a "hub and spoke" model embodied by a POC may make sense, other companies may have a regional or commodity-driven model that allows for a simpler "single central sourcing hub" approach.
Additionally, some companies may source most of their materials from a single country like China and therefore choose to use more targeted business and tax planning to capture the savings.
"In all these cases, procurement and key stakeholders must first drive how the business can most efficiently deliver value and grow over time," the Deloitte author write. "The role of tax is to share with the business the opportunities to align the model from a tax perspective (POC-type model, single central sourcing hub, country sourcing hub, etc.) by explaining the tax requirements the business would need to live within so that both the tax and business benefits would be sustainable over the long term."
The business, including procurement and key stakeholders, then decides whether it can live within the tax requirements.
"It is only when the business and tax are aligned that a truly sustainable tax-aligned procurement model can be implemented to drive sustainable tax and non-tax benefits," the authors say.
(Sourcing and Procurement Article Continues Below)
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