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REG-BlackRock World Mng: Adjustment to Net Asset Value

Announcement by BlackRock World Mining Trust plc

Adjustment to Net Asset Value of BlackRock World Mining Trust plc

(LEI: LNFFPBEUZJBOSR6PW155)

Issued on 19 August 2020

Summary

The Board of BlackRock World Mining Trust plc (the ‘Company’) is pleased
to announce a positive adjustment of 31 basis points to the net asset value
(‘NAV’) of the Company as at 18 August 2020 due to the recognition of an
expected receipt of tax reclaims for a value of £2,560,568 on foreign income
in the Company’s accounts, as explained below.

Background

The Company’s investments include shares issued by both UK companies and
non-UK companies. Until 2009, while dividends paid to the Company by UK
companies were not subject to UK corporation tax, dividends paid to the
Company by non-UK companies were subject to UK corporation tax, although
credit could be given for any withholding tax suffered. A number of cases
challenging this difference in treatment, on the basis that it was illegal
under European Union law, were commenced against the UK tax authorities
(‘HMRC’). The litigation most relevant to the Company was commenced in
2003 in the UK High Court, pursuant to the terms of a group litigation order
(“GLO”). The Prudential Assurance Company Limited ultimately became the
test case under the GLO.

The Company took a number of measures to protect its investors in relation to
this matter, including filing tax returns for accounting periods to 31
December 2006, 31 December 2007, 31 December 2008 and 31 December 2009 (the
‘relevant accounting periods’) on the basis that foreign dividends were
exempt from UK corporation tax and commencing proceedings against HMRC in the
UK High Court (which led to the Company enrolling in the GLO in 2013). In
2018, the Company also filed related statutory claims for double tax relief.

On 25 July 2018, the UK Supreme Court handed down its judgment in the
Prudential case, ruling that dividends on non-UK portfolio shareholdings were
taxable but that credit should be given for the underlying foreign tax at the
foreign nominal corporate income tax rate of the source country. This
decision, and the potential impact of this on the Company’s NAV, was
previously referred to in the Chairman’s Statement contained in the
Company’s Annual Report and Financial Statements for the year ended 31
December 2018.

The Company has now received correspondence from HMRC accepting the
entitlement of the Company to make a claim for double tax relief in the
relevant accounting periods in relation to underlying tax suffered on
dividends from non-UK companies. This double tax relief reduces the
corporation tax liability to nil for all periods resulting in a repayment of
the corporation tax suffered in the relevant accounting periods. While the
amount of the repayment has not been formally agreed with HMRC, and as such a
degree of uncertainty remains, the Company now considers receipt of a
repayment is sufficiently probable that it should make an accrual for
accounting purposes to reflect such treatment. 

The corporation tax refund expected to be received by the Company following
HMRC’s acceptance of the claims for the relevant accounting periods amounts
to £2,560,568.

The accounting rules applicable to the Company determine that an uncertain tax
receivable shall be accrued in the NAV of the Company when, in the view of the
Board, the successful future receipt of such a receivable is probable. The
Board’s current assessment is that the future receipt of the tax reclaims
described above is probable and so meets this threshold.

For further information, please contact:

Simon White
Managing Director
BlackRock Investment Management (UK) Limited
Tel: 020 7743 5284

Joe Winkley
Winterflood
Tel: 020 3100 0000



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