The Ministry of Finance released on 17 May its Green Paper on "Corporate Income Tax Strategies for The Bahamas", which aims to solicit feedback from stakeholders on the government's proposals to achieve greater efficiency and equity in the business tax regime and achieve alignment with global tax developments.
The Minister of Finance said: "Our goal is to ensure that we explore all the right options and properly align our choices to support growth, investment and development".
It said the government was faced with the compelling realities of having to address the Organization for Economic Cooperation and Development's requirements related to Pillar Two international tax reforms and the inherent bias in the existing business licence tax (BLT).
In July 2021, The Bahamas became one of over 138 members of the OECD's Inclusive Framework that agreed to support implementation of the Pillar Two tax reform, under which all multinational entities with revenues of 750 million euros or higher will be subject to a minimum effective tax rate of 15% in each jurisdiction in which they operate.
Implementation by The Bahamas will allow for a potential new revenue source which, according to initial estimates, could be at least $145 million annually. On the domestic front, the government is also keen to transition away from the BLT which, because it is calculated on revenues instead of profits, may impede domestic investment and growth.
The Minister of Finance further said: "Confronting these two challenges is as much about ensuring greater fairness, efficiency and effectiveness in our tax policy regime as it is about supporting fiscal resilience, economic growth and development".
The CIT strategies identified by the government in the Green Paper include four (4) options: Option 1 represents the OECD 15% compliant Pillar Two regime; Option 2 adds to Option 1 a 10% rate for other firms; Option 3 adds to Option 1 a 12% rate for firms above B$0.5 million and maintains the BLF for firms below this threshold and Option 4 applies a 15% CIT across all firms, except for those below the B$0.5 million which would attract a 10% rate.
The Green Paper contains a series of questions, intended to help with refining these options and other design features of the proposed CIT regime in the next phase of the exercise.
Interested parties are invited to comment on the proposals in Green Paper and to provide responses to the series of questions by July 3, 2023.