Annual report pursuant to Section 13 and 15(d)

Note 8 - Income Taxes

v3.23.1
Note 8 - Income Taxes
12 Months Ended
Dec. 31, 2022
Notes to Financial Statements  
Income Tax Disclosure [Text Block]

8. INCOME TAXES

 

VAALCO and its domestic subsidiaries file a consolidated U.S. income tax return. Certain foreign subsidiaries also file tax returns in their respective local jurisdictions that include Canada, Egypt, Equatorial Guinea and Gabon.

 

Income taxes attributable to continuing operations for the year ended December 31, 2022 are attributable to foreign taxes payable in Gabon and Egypt whereas for the years ended December 31, 2021 and 2020 the income taxes are attributable to foreign taxes payable in Gabon as well as income taxes in the U.S. 

 

Provision for income taxes related to income (loss) from continuing operations consists of the following:

 

   

Year Ended December 31,

 
   

2022

   

2021

   

2020

 
    (in thousands)  

U.S. Federal:

                       

Current

  $     $     $ (337 )

Deferred

    (3,344 )     (34,548 )     11,814  

Foreign:

                       

Current

    26,615       20,282       3,859  

Deferred

    48,149       (7,890 )     12,345  

Total

  $ 71,420     $ (22,156 )   $ 27,681  

 

As of December 31, 2022 the Company had total deferred tax assets of $99.6 million primarily attributable to Canada, Gabon and the U.S. whereas for December 31, 2021 deferred tax assets were $86.9 million primarily attributable to Gabon and U.S. In both years, the income taxes related to basis differences in fixed assets, foreign tax credit carryforwards, as well as U.S. and foreign net operating loss carryforwards. In assessing the realizability of the deferred tax assets, the Company considers all available positive and negative evidence by jurisdiction and makes a determination whether it is more likely than not that some or all of the deferred tax assets will be realized. The ultimate realization of the deferred tax assets is dependent upon the generation of future income in periods in which the deferred tax assets can be utilized. Numerous judgments and assumptions are inherent in this assessment, including the determination of future taxable income, future operating conditions, particularly as related to prevailing crude oil prices.

 

As of December 31, 2022, due to a positive outlook regarding future taxable income, the Company determined that it is more likely than not that it would be able to utilize a large portion of its U.S deferred tax assets. Additionally, the Company also determined that it is more likely than not that it would not be able to utilize its deferred tax assets in Canada and in Egypt for its South Ghazalat concession. As of December 31, 2021, the Company determined that it is more likely than not that it would not be able to utilize its deferred tax assets. On the basis of these evaluations, a valuation allowance of $47.6 million and $46.9 million were recorded as of December 31, 2022 and 2021, respectively. Valuation allowances reduce the deferred tax assets to the amount that is more likely than not to be realized.

 

 

The primary differences between the financial statement and tax bases of assets and liabilities resulted in deferred tax assets associated with continuing operations at December 31, 2022 and 2021 are as follows:

 

   

As of December 31,

 

(in thousands)

 

2022

   

2021

 

Deferred tax assets:

               

Basis difference in fixed assets

  $ 9,299     $ 20,133  

Foreign tax credit carryforward

    14,848       20,084  

Net operating losses

    48,981       25,182  

Foreign deferred tax assets, net of impact on U.S. taxes

          8,693  

Asset retirement obligations

    8,531       8,546  

Operating lease liabilities

    10,753       1,750  

Basis difference in accrued liabilities

    3,800       402  

Basis difference in receivables

    2,783       454  

Other

    622       1,683  

Total deferred tax assets

    99,617       86,927  

Valuation allowance

    (47,583 )     (46,949 )

Net deferred tax assets

  $ 52,034     $ 39,978  
                 

Deferred tax liabilities:

               

Basis difference in fixed assets

    (97,825 )      

Net deferred tax liabilities

  $ (97,825 )   $  

 

Foreign net operating losses (“NOLs”) are subject to varying expiration periods depending on the jurisdiction. The NOLs for the Gabon subsidiaries are included in the respective subsidiaries’ cost oil accounts, which will be offset against future taxable revenues and do not expire. U.S. federal NOLs incurred after 2017 do not expire. The ability to utilize NOLs and other tax attributes could be subject to a limitation if the Company were to undergo an ownership change as defined in Section 382 of the Tax Code. Foreign tax credits will expire between the years 2024 and 2032. The Company does not anticipate utilization of the foreign tax credits prior to expiration and has recorded a full valuation allowance on these deferred tax assets.

 

The Company has NOL’s, (in '000s) in the following jurisdictions as of December 31, 2022:

Jurisdiction

 

Amount

   

Expiration Period

 

U.S.

  $ 45,498    

No expiration

 

Gabon

  $ 37,983    

No expiration

 

Egypt

  $ 14,558       2023-2027  

Canada

  $ 130,542       2024-2042  

 

The Company recognizes the financial statement benefit of a tax position only after determining that they are more likely than not to sustain the position following an audit. The Company believes that its income tax positions and deductions will be sustained on audit, and therefore no reserves for uncertain tax positions have been established. Accordingly, no interest or penalties have been accrued as of December 31, 2022 and 2021. The Company’s policy is to include interest and penalties related to unrecognized tax benefits as a component of income tax expense.

 

Income (loss) from continuing operations before income taxes is attributable as follows:

   

Year Ended December 31,

 

(in thousands)

 

2022

   

2021

   

2020

 

U.S.

  $ (56,750 )   $ (38,867 )   $ (2,908 )

Foreign

    180,132       98,645       (17,494 )
    $ 123,382     $ 59,778     $ (20,402 )

 

The reconciliation of income tax expense (benefit) attributable to income (loss) from continuing operations to income tax on income (loss) from continuing operations at the U.S. statutory rate is as follows:

   

Year Ended December 31,

 

(in thousands)

 

2022

   

2021

   

2020

 

Tax provision computed at U.S. statutory rate

  $ 25,910     $ 12,553     $ (4,284 )

Foreign taxes not offset in U.S. by foreign tax credits

    53,851       35,306       (9,801 )

Permanent differences

    778       (703 )     97  

Foreign tax credit expirations

    17,247       14,060        

Increase/(decrease) in valuation allowance

    (25,623 )     (83,372 )     41,635  

Other

    (743 )           34  

Total income tax expense (benefit)

  $ 71,420     $ (22,156 )   $ 27,681  

 

For the years ended December 31, 2022, 2021 and 2020, the Company is subject to foreign and U.S. federal taxes only, with no allocations made to state and local taxes. The following table summarizes the tax years that remain subject to examination by major tax jurisdictions.

 

Jurisdiction

 

Years

 

U.S.

  2014-2022  

Gabon

  2018-2022  

Egypt

  2017-2022  

Canada

  2018-2022  

 

With respect to the earnings of VAALCO's Canadian foreign subsidiary, the Company does not intend to repatriate funds and will indefinitely reinvest these foreign earnings. Determining the amount of the unrecorded deferred tax liability related to temporary differences at this time is not practicable. If circumstances change and it becomes apparent that some or all the undistributed earnings of our Canadian subsidiary will be remitted in the foreseeable future, the Company shall accrue as an expense of the current period income taxes attributable to that remittance.

 

With respect to the earnings of VAALCO's Egyptian foreign subsidiaries, the earnings are available for repatriation, but the corresponding incremental tax expense on any remittances is not expected to be material.  

 

On August 16, 2022, legislation commonly known as the Inflation Reduction Act was signed into law. Among other things, the Inflation Reduction Act includes a 1% excise tax on corporate stock repurchases (applicable to repurchases after December 31, 2022) as well as a new minimum tax based on book income. While the Inflation Reduction Act did not have a material impact on its effective tax rate in 2022, the analysis of the impact of the Inflation Reduction Act on the Company is ongoing.