Lesson 6 Tax On Natural Resources
Lesson 6 Tax On Natural Resources
Lesson 6 Tax On Natural Resources
College of Humanities
University of Ghana Business School
Department of Accounting
S
Session
Overview
Lesson Objectives:
§ By the end of this session you should be able to
• understand the Income Tax Regimes of Petroleum Operations in Ghana
• explain the tax revenue streams from the upstream petroleum industry.
• understand the various legal provisions governing petroleum activities in
Ghana.
• identify allowable and disallowable expenses in upstream Petroleum
Operations
• treat Financial Cost under Separate Mineral Operation
• compute royalty payable
• describe the treatment of losses and the concept of adjusted profit
Session Outline
§The key topics to be covered in this session are as follows:
• Taxation of Petroleum Operations
• Deductions for Petroleum Operations
• Disallowable Deductions
• Separate Petroleum Operation under the Income Tax Act, 2015
(ACT 896)
• Withholding Tax for Petroleum Operations
• Taxation of Mineral and Mining Operations
• Withholding Tax for Minerals and Mining Operations
Reading
List
§ Amidu, M. (2019), Principles and Practice of Taxation, First
Edition, Digibooks, Accra. Ghana Chapter 13, (pages 423-
44)
§ Ali-Nakyea A. (2016), Taxation in Ghana-Principles, Practice
& Planning, Black Mask Ltd., 3rd Edition. Chapter 12, (pages
253-269)
§ Income Tax ACT, 2015 (ACT 896), Ghana Publishing
Company Limited, (Assembly Press), Accra, Ghana, Sections
77-86
Topic
One
Required:
Show the tax treatment of the relevant financial cost and the relevant
financial gain in respect of the derivative instrument, and determine the
chargeable income of the company from petroleum operations.
(Credit: Practice Note - Income Tax Act, 2015 (ACT 896))
Petroleum Operation
Relevant Financial Cost
Required:
Compute tax payable.
Comment on the deductibility of financial cost in petroleum operations.
(Credit: ICA, November 2018)
Petroleum
Operation
Relevant
Financial
Cost
Suggested Solution to illustration 13.5
AB Limited
Computation of tax payable
Y/A 2017
Basis Period 1/1/2017 -31/12/2017
$ $
Profit as per accounts 20,000,000
Commentary
• The company deducting the financial cost of $1,200,000 from the income is not
permissible according to the law. The company can only deduct an amount that is equal
to the financial gain of $1,000,000 as expense.
• The excess cost of $200,000 is then carried forward as unrealized financial cost which
is recoupable within the next five years from the date the cost was incurred. If after five
years no financial gain is realized, the unrealized financial cost expires.
Petroleum Operation
Capital Allowance
• Capital allowances are granted to Contractors from the year of
commercial production on petroleum property, plant and equipment
(capital expenditure) relating to petroleum operations at a rate of
20% on a straight line basis.
Petroleum Operation
Withholding Tax: Petroleum Contractors
Payment
Resident Persons Rate %
Payment to Subcontractors for works and service for or in connection
with a petroleum agreement. 7.5
Management, consulting and technical service fees and endorsement
fees. 7.5
Royalties, natural resources payments and rents. 15
Payment to Subcontractors for works and services (Including rental of
tools and equipment). 15 final WHT
Royalties, natural resources payments and rents. 15
Management, consulting and technical service fees and endorsement
fees. 20
Petroleum Operation
Withholding Tax by Contractors
Compliance
Petroleum Income Tax Return 30 April
Annual Transfer Pricing Return 30 April
Quarterly Petroleum Income Tax Return and quarterly 30 April, 30 July,
tax payments 30 October, 30
Monthly VAT Returns (For those who have registered for End of following
VAT) month
15th of following
Monthly Payroll Return month
15th of following
Monthly WHT Return month
Annual Payroll Return 30 April
Petroleum Operation
Withholding Tax by Subcontractors
Payment
Resident Persons Rate %
Interest (excluding individuals & resident financial institutions) 8
Dividend 8
Rent on residential properties to individuals and artificial persons 8
Rent on non-residential properties to individuals and artificial
persons 15
Supply of goods exceeding GH¢ 2,000 per annum 3
Supply of services exceeding GH¢ 2,000 per annum 7.5
Supply of works exceeding GH¢ 2,000 per annum 5
Petroleum Operation
Withholding Tax by Subcontractors
Payment
Resident Persons Rate %
Interest (excluding individuals & resident financial institutions) 8
Dividend 8
Rent on residential properties to individuals and artificial persons 8
Rent on non-residential properties to individuals and artificial persons 15
Supply of goods exceeding GH¢ 2,000 per annum 3
Supply of services exceeding GH¢ 2,000 per annum 7.5
Supply of works exceeding GH¢ 2,000 per annum 5
Payment
Non-Resident Persons Rate %
Dividend 8
Royalties, natural resources payments and rents 15
Management, consulting and technical service fees and endorsement fees 20
Payment to petroleum Subcontractors 15
Mineral and Mining Operations
Mineral Royalties
According to the Income Tax Act 2015, Act 896, the mineral
royalty rate is 5% of the total revenue earned from mineral
obtained from mining operations by a holder of a mining lease.
Mineral and Mining Operations
Illustration 13.6
AB Limited is a mining company and has the following set of information relating to 2016
year of assessment. GH¢
Revenue 5,000,000
Cost of operation 3,000,000
Chargeable income 2,000,000
From the above, the following came to light:
1. Capital allowance of GH¢500,000 was added to cost.
2. Penalty of GH¢100,000 was imposed by the Mineral Commission for failure to follow
standard operating guidelines.
3. Loss from operation amounting to GH¢50,000 recorded in 2010 was added to the cost
above. According to the accountant, the company is entitled to carryover its losses.
Required:
i. Calculate the royalty payable if any.
ii. Compute the corporate tax payable by AB limited.
(Credit: ICA, November 2016
Mineral
and
Mining
Operations
Suggested to illustration Solution 13.6
i. Royalty payable = 5% of Total Value of Mineral Won or Revenue
5% x GH¢5,000,000 = GH¢250,000
ii. AB Ltd
Computation of Tax Payable
Year of assessment 2016
GH¢ GH¢
Chargeable Income (given) 2,000,000
Add the following:
Penalty 100,000
Loss from operation 50,000 150,000
Recomputed chargeable income 2,150,000
– Manla Ltd received a net dividend from a company based in the USA of
the equivalent of GH¢9,500 after 5% tax was deducted and the net income
was added to chargeable income above.
– A powerful shareholder was granted items worth GH¢60,000 which was
adjusted in arriving at the chargeable income to neutralize the
shareholder’s influence at Annual General Meeting.
(Note: Manla Ltd has a basis period from January to December)
Required:
i. Compute the taxes payable by Manla Ltd.
ii. Comment on the treatment of investment loss of GH¢700,000.
• (Credit: ICA, November 2018)
Summary
§ Currently, the taxation of Petroleum Operations are regulated by Petroleum Income
Tax Law, 1987 (PNDCL 188), Income Tax Act, 2015 (Act 896) and the Petroleum
Agreements.
§ The applicable royalty rate for a contractor is based on the provisions of the
petroleum agreement of the Contractor. Other petroleum agreement contracts have
rates such as (5%, 7.5%, 10% etc).
§ Also, royalties paid are tax deductible in determining the chargeable income of the
Contractors.
§ In Ghana, most of the Petroleum Agreements apply a corporate tax rate of 35%.
§ The withholding tax rate for payments from Contractors to Subcontractors was 5%
but it has been increased to 7.5% for resident entities and 15 for non-resident
entities.
§ Mineral royalty rate is 5% of the total revenue earned from mineral obtained from
mining operations by a holder of a mining lease.
Thank
you