The Income and Capital Tax Treaty between Luxembourg and Tajikistan entered into force on 27 July 2013. The treaty will applicable from 1 January 2014.
Related Posts
Moldova: Parliament approves amending protocol to tax treaty with Luxembourg
The Moldovan parliament approved a draft law to ratify the amending protocol to the Luxembourg-Moldova Income and Capital Tax Treaty (2007) on 15 November 2024. Earlier, Moldovan government approved the amending protocol on 2 October 2024. The
Read MoreLuxembourg updates CbC reporting guidance
The Luxembourg Administration of Direct Tax has updated its Country-by-Country (CbC) reporting guidance page, including an updated CbC reporting FAQ, to reflect the latest OECD recommendations. The update addresses whether profits (losses) before
Read MoreLuxembourg revises draft law to amend Pillar Two global minimum taxation
The Luxembourg government published a revised draft law on 31 October 2024 amending the Global Minimum Taxation Law, commonly referred to as the Pillar Two law. This revised draft introduces additional amendments to the initial draft published on
Read MoreTajikistan, Kuwait sign amending protocol to tax treaty
Tajikistan and Kuwait have signed an amending protocol to revise the Kuwait-Tajikistan Income and Capital Tax Treaty (2013) on 3 November 2024. According to a press release from the Tajikistan's Ministry of Foreign Affairs , a signing ceremony
Read MoreArgentina, Luxembourg sign protocol for pending tax treaty
Argentina and Luxembourg signed an amending protocol to the 2019 income and capital tax treaty on 25 October 2024. The tax treaty aims to eliminate double taxation on income and capital taxes while preventing tax evasion and fraud between
Read MoreLuxembourg introduces updated online filing procedures for fund subscription tax returns
The Luxembourg Registration Duties, Estates and VAT Authority launched new online procedures N° 821 for submitting subscription tax returns for Undertakings for Collective Investment (UCI), Specialised Investment Funds (SIF), and Reserved
Read More