Ke Zunhong, President of Chengdu Kanghong
Pharmaceutical Group, cherishes an ambitious dream -- to expand his
business from a local giant in southwest China's Sichuan Province into the biggest
pharmaceutical enterprise in the country.
On December 23, Ke made a substantial step forward by
signing a contract with a leading pharmaceutical business in the
United States -- Sagent Pharmaceuticals -- to set up a joint
venture. For sale on the global market, with an annual output of
US$1 billion, the new plant will produce injections for curing
tumors, anti-infection purposes and for daily clinic
uses.
Boasting a registered capital of US$50 million and
covering an area of 11.3 hectares, the 50-50 stake joint venture is
to be constructed next year in an area exclusively reserved for
export-oriented processing enterprises in the Chengdu New and
High-tech Industrial Park. The new business is expected to profit
from all the preferential treatments endowed by the Chinese
government to foreign invested enterprises in the
country.
However, one day after signing the contract, Ke had to
cool down from sheer ecstasy and square up to a tough-minded fact.
On December 24, the Standing Committee of the National People's
Congress (NPC), China's top legislature, initiated a
lawmaking process to discuss the draft of the Corporate Income Tax
Law, which means a unification of the existing income tax laws for
domestic and foreign-invested enterprises.
Ever since China began to open up to overseas
investment in the 1980s, two income tax systems were gradually set
up and applied to domestic and foreign enterprises respectively.
Nominally, Chinese companies pay income tax at a rate of 33
percent, while their foreign counterparts, who benefit from tax
waivers and incentives to boost investment, pay an average of 15
percent.
Through pre-tax deduction, preferential tax rates and
tax rate differences, domestic companies are currently taxed at a
rate of 24 percent on average, while foreign-funded firms only pay
about 14 percent -- a gap that has sparked controversy in recent
years.
Under the draft law, China would introduce a unified
tax rate of 25 percent for all types of enterprises. In addition, a
number of preferential treatments for foreign funded enterprises
will be reneged. Such alluring policies included offering 2 years
of tax exemption, followed by a 3 year 50 percent reduction in
corporate income tax (a rate of 7.5 percent) to all foreign-backed
manufacturing enterprises with an operational term of more than 10
years.
While foreign companies and joint ventures like Ke's
expect to come off worse when the tax rate is leveled, domestic
enterprises are in a buoyant mood.
Lu Honghua, general manager of Changchun Huaxin Food,
a Chinese confectionary producer in northeast China's Jilin Province pointed out that, "For us
domestic enterprises, the unification of the rates signal that all
the enterprises have returned to the same starting point and that
all market players are put on an equal footing."
On December 29, the Standing Committee of the National
People's Congress concluded a six-day meeting and decided to submit
a draft law, proposing to unify income tax rates, to the NPC
plenary session for enactment in March 2007.
In accordance with China's legislative process, three
rounds of deliberation are carried out in the NPC Standing
Committee once the draft bill is submitted - the new income tax
rate is expected to take effect in 2008.
"The unification of the income tax rate will play an
important role in establishing just, unified and transparent market
rules and promoting fair competition amongst enterprises," said
Lu.
Tax unification: In the nick of time
Industry officials claim that, so far, China's
generous tax incentives that have been given to overseas-funded
companies over the past two decades, along with other preferential
treatments including very low land rent and locally defined tax
waivers, have helped the country to attract more investment,
technology and expertise.
China has been one of the
world top destinations for foreign direct investment (FDI), hitting
US$60.3 billion in 2006 in terms of the amount actually
used.
By the end of August 2006, 579,000 foreign invested
enterprises had been set up in China, with an actually used foreign
capital of US$659.6 billion.
However, China's current dual income-tax structures
have long been the subject of intense debate.
Mei Xinyu, a research fellow with the Ministry of
Commerce told China Features that, "Compared with domestic
enterprises, the actual tax burden on foreign funded enterprises in
China is about 10 percentage points lower. This runs counter to the
principle of national treatment for foreign enterprises after
China's accession to the World Trade Organization (WTO) and it will
dampen the competitiveness of domestic enterprises."
According to Ma Yu, a researcher with China's Academy
for Economic and Social Research, "If you want fair competition,
you must first remove discriminative policies and then favorable
ones."
The process of unifying the income tax rates for
domestic and foreign funded enterprises has, however, not been
progressing smoothly. Within the government, opinion divides. While
some government departments call for a fair tax system, others fear
a unified tax structure would cause FDI losses.
Finance Minister Jin Renqing commented recently that,
"The current tax regimes are too complicated. A unified tax code
will create a taxation environment that favors fair competition
among all ventures registered in China."
Chinese legislators agree that the 25 percent tax rate
is an appropriate level to maintain a reasonable overall tax burden
for businesses, which compares favorably with other countries and
regions and with international rates. Worldwide, 159 countries and
regions levy corporate income tax at an average of 28.6
percent.
According to official calculations, the new tax rate
for domestic companies, which constitutes the bulk of the tax base,
will substantially drop -- income tax collected from domestic
companies will shrink by 134 billion yuan (US$16.8
billion).
Despite an income tax increase for foreign companies
of 41 billion yuan (US$5.1 billion), China's state coffers will
still face a reduction of 93 billion yuan (US$11.6 billion) in
income taxation.
China's fast growing economy, improved competitiveness
of businesses and growth momentum of fiscal revenue have convinced
tax and financial officials that the country can afford the loss
and the new rate will not starve state coffers.
Jin Renqing stated that the government pushes
corporate income tax reform under such circumstances. "It's a time
that is favorable for reform as state finance and businesses have
strong capacity to face the reform," he said.
In 2005, China's tax revenues, excluding tariffs and
agricultural tax, rose to a record high of 3.1 trillion yuan
(US$381 billion).
High-tech industries preferred
To offset the impact on foreign funded enterprises
from the merger of the two tax rates, the draft law proposes a
number of transitional measures in implementing the unified
income-tax structure.
Among others, the bill allows existing foreign-backed
enterprises to continue to enjoy tax incentives for five years
after the new rate is enacted and gradually increase income tax
payments.
The bill also extends some preferential tax policies
to more businesses, such as all hi-tech companies will enjoy a 15
percentrate to boost innovation. At present, only those in
state-owned hi-tech zones enjoy such a privilege.
Investment in equipment for environmental protection
and water conservancy purposes and for production safety will be
used to offset tax payable in the bill.
He Manqing, deputy director of the Ministry of
Commerce's Multinational Research Center revealed to China Features
that, "The new law will not add burdens on foreign capital
enterprises in the country significantly. Large multinational
companies will almost not be affected at all, particularly in the
long-run."
Remain powerful magnet for FDI
According to Yang Yuanwei, an official with the State
Administration of Taxation, "China's ability to attract foreign
capital will not necessarily fade after unifying the tax rates. The
removal of a favorable tax policy is a minor setback compared with
China's huge market potential."
On Nov. 9, 2006, the Chinese government published its
11th five-year-plan (2006-2010) for utilizing foreign investment,
giving priority to quality rather than quantity.
According to the document, China utilized US$383
billion of overseas investment during the 10th five-year-plan
period (2001-2005), including US$286 billion in overseas direct
investment, US$38 billion in stock issuances and US$46 billion in
foreign loans.
The document states that priority will be given to the
introduction of advanced technologies, management expertise and
skills, rather than the use of foreign capital. More emphasis is
also to be given to the protection of environment and efficient use
of natural resources.
Furthermore, the document stresses the need for more
foreign investment in areas such as research and development as
well as sophisticated design, so that China could eventually become
a major manufacturer of high value-added products -- mainly of the
high-tech variety.
Despite the stress on quality, the document says that
the government expects foreign investment to keep rising in the
next few years. It also calls for more foreign investment in
China's remote west and the northeast rust belt, which are
currently lagging far behind the coastal regions in attracting
foreign investment.
Supachai Panitchpakdi, Secretary-General of United
Nations Conference on Trade and Development (UNCTAD) agrees that
China remains a powerful magnet attracting billions of dollars in
foreign direct investment.
"China's low-cost labor has enabled the country to
become a production base for global markets," said Mr.
Panitchpakdi, "the country has made long-term efforts in building
domestic capabilities, improving its infrastructure and
strengthening human resources."
Mr. Panitchpakdi also commented that, "China has
fostered an environment that promotes the benefits of FDI as
domestic firms become well equipped to collaborate with and learn
from foreign companies."
Operating under such circumstances, the 10 percent tax
increase for foreign businesses is no longer a serious drawback in
terms of investment.
Quoting responses from an American counterpart, Ke
Zunhong, President of Chengdu Kanghong Pharmaceutical Group said
that, "For businesses, it's important to be in China. When making
investment, foreign investors consider much of such factors as
labor cost and market, while preferential taxation treatment ranks
only the fifth place of their consideration."
Ke believes that China's vast market potential and
operational cost advantages will continue to make China a favorable
investment option for many foreign investors.
(Xinhua News Agency December 30, 2006)
|