(888) 351-9743
How to Eliminate Withholding Tax and Income-Tax Liability
for Non-resident Licensors of Intellectual Property
Graycliff can enable non-resident companies to eliminate
liability for income tax (and the accompanying withholding of tax) for
rents and royalties that they receive for the sale and licensing of their
intellectual property in the USA and Canada.
What can Graycliff do for you?
Graycliff can eliminate the need for withholding tax on
payments for rents, royalties and similar payments paid or credited by
a resident of the USA or Canada to a non-resident, including rentals or
royalties for motion picture films and for film and videotape for use in
connection with television.
Not only does Graycliff eliminate the need for the withholding
of tax in the USA or Canada, but usually there is no income tax payable
in the non-resident's own country.
Every part of our method has been adjudicated upon by
the courts and gone through legislative review and legislative amendments
arising from the review of judicial action in respect of the various parts
of this method of eliminating income-tax liability.
Procedure to Obtain Exemption from Income Tax for the
Sale and Licensing of Intellectual Property.
Please note: this procedure
does not require the actual transfer of any money to Graycliff
Financial Corporation (except our fees). All "transfers" of funds
("payments" and "loans") can be legally done merely
as bookkeeping entries (credits) and signed documents.
Until now, non-resident vendors and licensors of intellectual
property have been paid for their property rights, but they have had to
endure withholding tax being deducted from the money they receive.
Now they can license their intellectual property through
one of our corporations (Graycliff).
Graycliff will then provide the intellectual-property
licensor's product to the US or Canadian licensee, acting as an intermediary.
Then there is no withholding of tax when the licensee
pays for the licence. Instead, the licensee merely pays the invoice of
Graycliff (a resident).
However, instead of Graycliff then paying the monies received
to the licensor, withholding tax of up to 30%, Graycliff loans the
money to the licensor, as follows:
The money that is payable to Graycliff is loaned by Graycliff
to the licensor at an interest rate that is at least as much as fair market
rates for such a loan.
(If the transaction were for the provision of services
(as a leased employee), then this interest rate would be necessary
to avoid the deemed interest that would arise if the interest rate charged
were below fair market rates for such a loan. Here, however, there is no
such deemed interest because the licensee is not an employee of Graycliff.
Rather, this interest rate is used instead of a zero interest rate to avoid
the remote possibility that income tax authorities would call an interest-free
loan the equivalent of a straight transfer, thereby making it taxable.)
This loan is secured by the amount owing to the licensor
by Graycliff, and the interest payable by Graycliff on the unpaid royalties
is at the same rate as the rate of interest on the loan from Graycliff
to the licensor.
Consequently, the loan amount payable, including accrued
interest, is always equal to the royalty amount owing, including accrued
interest. So, there is never any net amount owing by either the licensor
or by Graycliff to each other.
Deemed Cash Flow
Instead of money being actually transferred through Graycliff,
the following simplified procedure can be used:
When Graycliff issues an invoice to the licensee for royalties,
Graycliff also provides a signed Authorization and Direction to
the licensee to pay the funds to the licensor in trust.
So, pursuant to that signed Authorization and Direction,
and for the payment of the invoice issued by Graycliff to the licensee,
the licensee would normally issue a cheque to the licensor in trust.
This money would be held in trust for Graycliff by the licensor.
Then, pursuant to a loan agreement in which Graycliff
agrees to lend the money to the licensor, Graycliff provides a signed Authorization
and Direction to the licensor, as trustee, to pay the loan proceeds
to the licensor. So, a cheque for that amount would be issued from the
trust account of the licensor, as trustee, to the licensor (in its
personal capacity). That cheque would be deposited into the licensor's
general account.
However, since the licensor is the ultimate recipient
of the funds, and since signed Authorizations and Directions are provided
for every step along the path that the funds take, the only payment from
the licensee that need be made is one from the licensee to the licensor
for its own account.
Our Fee
Graycliff's fee for this service, in which Graycliff is
required by income tax legislation to assume all future tax liabilities
that could arise in respect of the royalties, is 7% of the amount of income
involved. So, this amount would be paid by the licensor, as trustee,
at the time the Graycliff loan was advanced to the licensor.
To Start getting Licensing Income Tax-free, call Graycliff
today.
(888) 351-9743
Home | Employees | Retained
Earnings | Withholding Tax | U.S.A. | Audit Protection
| Legislative History | Garnishees
| Added Protection | Statutes
| FAQ | Testimonials
| About Us | Contact
Us | Links