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INCOME TAXES
12 Months Ended
Dec. 31, 2013
Income Tax Disclosure [Abstract]  
INCOME TAXES [Text Block]
Under current Bermuda law, our Bermuda domiciled companies are not required to pay any taxes in Bermuda on income or capital gains. We have received an assurance from the Minister of Finance in Bermuda that, in the event of any taxes being imposed, we will be exempt from taxation in Bermuda until March 2035. Our primary Bermuda subsidiary has an operating branch in Singapore, which is subject to the relevant taxes in that jurisdiction. The branch is not under examination in this tax jurisdiction, but remains subject to examination for tax years 2010 through 2013.

Our U.S. subsidiaries are subject to federal, state and local corporate income taxes and other taxes applicable to U.S. corporations. The provision for federal income taxes has been determined under the principles of the consolidated tax provisions of the U.S. Internal Revenue Code and Regulations. Should the U.S. subsidiaries pay a dividend outside the U.S. group, withholding taxes will apply. Our U.S. subsidiaries are not under examination but remain subject to examination in the U.S. for tax years 2010 through 2013.
In Canada, our U.S. reinsurance company operates through a branch and our U.S. service company has an unlimited liability company subsidiary based in Canada. These Canadian operations are subject to the relevant taxes in that jurisdiction and generally remain subject to examination for tax years 2009 through 2013. During the year, our Canadian reinsurance branch was audited by the Canada Revenue Agency for income taxes for tax years 2009 and 2010, with no material adjustments.
We also have subsidiaries in Ireland, the United Kingdom (U.K.), Australia and Brazil. These subsidiaries and their branches, are not under examination, but generally remain subject to examination in all applicable jurisdictions for tax years 2009 through 2013.
The following table provides an analysis of our income tax expense and net tax assets:
 
 
 
 
 
 
 
 
 
Year ended December 31,
2013
 
2012
 
2011
 
 
 
 
 
 
 
 
 
 
Current income tax expense (benefit)
 
 
 
 
 
 
 
United States
$
12,466

 
$
4,931

 
$
5,064

 
 
Europe
9,039

 
8,566

 
9,598

 
 
Other

 
(174
)
 
188

 
 
Deferred income tax expense (benefit)
 
 
 
 
 
 
 
United States
(13,976
)
 
(10,749
)
 
1,379

 
 
Europe
(526
)
 
713

 
(996
)
 
 
Other
(1
)
 

 

 
 
Total income tax expense
$
7,002

 
$
3,287

 
$
15,233

 
 
 
 
 
 
 
 
 
 
Net current tax receivables
$
5,689

 
$
1,164

 
$
1,318

 
 
Net deferred tax assets
80,258

 
52,794

 
60,836

 
 
 
 
 
 
 
 
 
 
Net tax assets
$
85,947

 
$
53,958

 
$
62,154

 
 
 
 
 
 
 
 
 

 
Deferred income taxes reflect the tax impact of temporary differences between the carrying amounts of assets and liabilities for financial reporting and income tax purposes. The significant components of our deferred tax assets and liabilities were as follows:
 
 
 
 
 
 
 
At December 31,
2013
 
2012
 
 
 
 
 
 
 
 
Deferred tax assets:
 
 
 
 
 
Discounting of loss reserves
$
59,023

 
$
61,534

 
 
Unearned premiums
39,146

 
32,355

 
 
Operating loss carryforwards
20,316

 
20,685

 
 
Accruals not currently deductible
39,018

 
25,638

 
 
Other investment adjustments and impairments
7,859

 
8,790

 
 
Tax credits
11,886

 
7,945

 
 
Depreciation
2,410

 
3,858

 
 
Other deferred tax assets
2,906

 
2,185

 
 
Deferred tax assets before valuation allowance
182,564

 
162,990

 
 
Valuation allowance
(25,542
)
 
(24,574
)
 
 
Deferred tax assets net of valuation allowance
157,022

 
138,416

 
 
 
 
 
 
 
 
Deferred tax liabilities:
 
 
 
 
 
Deferred acquisition costs
(37,226
)
 
(27,211
)
 
 
Net unrealized gains on investments
(23,200
)
 
(44,137
)
 
 
Amortization of intangible assets and goodwill
(10,059
)
 
(8,258
)
 
 
Accrued market discounts
(1,151
)
 
(1,323
)
 
 
Equalization reserves
(2,080
)
 
(1,957
)
 
 
Other deferred tax liabilities
(3,048
)
 
(2,736
)
 
 
Deferred tax liabilities
(76,764
)
 
(85,622
)
 
 
Net deferred tax assets
$
80,258

 
$
52,794

 
 
 
 
 
 
 

At December 31, 2013, the total operating loss carryforwards for our Singapore and Australian branches were $115 million (2012: $117 million) and $45 million (2012: $51 million), respectively. Such operating losses are currently available to offset future taxable income of the branches and may be carried forward indefinitely in each jurisdiction. At December 31, 2013, our European subsidiaries have a $4 million (2012: $3 million) foreign tax credit which can be carried forward indefinitely. In addition, at December 31, 2013, our U.S. companies have a $7 million (2012: $5 million) alternative minimum tax credit that can be carried forward indefinitely.  
The following table provides an analysis of the movement in our valuation allowance:
 
 
 
 
 
 
 
At December 31,
2013
 
2012
 
 
 
 
 
 
 
 
Income tax expense:
 
 
 
 
 
Valuation allowance - beginning of year
$
33,933

 
$
30,623

 
 
Operating loss carryforwards
(794
)
 
635

 
 
Foreign tax credit
1,762

 
2,675

 
 
Change in investment-related items
(7,831
)
 

 
 
Valuation allowance - end of year
27,070

 
33,933

 
 
 
 
 
 
 
 
Accumulated other comprehensive income:
 
 
 
 
 
Valuation allowance - beginning of year
(9,359
)
 
(9,359
)
 
 
Change in investment-related items
7,831

 

 
 
Valuation allowance - end of year
(1,528
)
 
(9,359
)
 
 
 
 
 
 
 
 
Total valuation allowance - end of year
$
25,542

 
$
24,574

 
 
 
 
 
 
 


At December 31, 2013 and 2012, we established a full valuation allowance on: (1) operating loss carryforwards relating to branch operations in Australia and Singapore due to cumulative losses in recent years; (2) unutilized foreign tax credits available in Ireland and (3) certain other deferred tax assets related to branch operations.

Although realization is not assured, management believes it is more likely than not that the tax benefit of the recorded net deferred tax assets will be realized. Other than the items discussed above, the remaining gross deferred tax assets relate substantially to our U.S. operations. In evaluating our ability to recover these tax assets within the jurisdiction from which they arise, we consider all available positive and negative evidence, including historical results, operating loss carryback potential and scheduled reversals of deferred tax liabilities. Our U.S. operations have produced significant taxable income in prior periods and have deferred tax liabilities that will reverse in future periods such that we believe sufficient ordinary taxable income is available to utilize all remaining ordinary deferred tax assets. In 2013 and 2012, there were sufficient net unrealized gains to offset remaining impairments, therefore a valuation allowance on such impairments in the U.S., was not considered necessary.
There were no unrecognized tax benefits at December 31, 2013 and 2012.

The following table presents the distribution of income before income taxes between domestic and foreign jurisdictions as well as a reconciliation of the actual income tax rate to the amount computed by applying the effective tax rate of 0% under Bermuda law to income before income taxes:
 
 
 
 
 
 
 
 
 
Year ended December 31,
2013
 
2012
 
2011
 
 
 
 
 
 
 
 
 
 
Income before income taxes
 
 
 
 
 
 
 
Bermuda (domestic)
$
625,490

 
$
485,613

 
$
10,911

 
 
Foreign
108,977

 
64,915

 
50,627

 
 
 Total income before income taxes
$
734,467

 
$
550,528

 
$
61,538

 
 
 
 
 
 
 
 
 
 
Reconciliation of effective tax rate (% of income before income taxes)
 
 
 
 
 
 
 
Expected tax rate
0.0
 %
 
0.0
 %
 
0.0
 %
 
 
Foreign taxes at local expected rates:
 
 
 
 
 
 
 
United States
2.1
 %
 
0.4
 %
 
33.2
 %
 
 
Europe
1.0
 %
 
1.4
 %
 
10.7
 %
 
 
Other
0.3
 %
 
 %
 
3.3
 %
 
 
Valuation allowance
(0.7
)%
 
0.6
 %
 
(15.5
)%
 
 
Net tax exempt income
(1.3
)%
 
(1.5
)%
 
(11.2
)%
 
 
Other
(0.4
)%
 
(0.3
)%
 
4.3
 %
 
 
Actual tax rate
1.0
 %
 
0.6
 %
 
24.8
 %