OECD: Guidance and IT Tools released to support the TRACE system

29 February, 2020

On 25 February 2020 the OECD issued guidance on the the technical implementation of the TRACE initiative (Treaty Relief and Compliance Enhancement), together with the relevant IT formats. The TRACE system permits claims to be made in relation to

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Norway issues a public consultation paper proposing WHT on interest, royalty payments

29 February, 2020

On 27 February 2020, the Norwegian Ministry of Finance published a public consultation paper proposing to introduce a withholding tax system for interest and royalty payments to related parties. The proposal aims to levy a 15% withholding tax

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Norway issues public consultation for regarding the introduction of WHT on interest and royalties

29 February, 2020

On 27 February 2020, the Norwegian Ministry of Finance issued a public consultation paper introducing the withholding tax (WHT) on interest, royalty and certain lease payments to controlled parties. The withholding tax on interest payments

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Latvia: MLI enters into force

29 February, 2020

On 28 February 2020, OECD has published the update list of signatories and parties to the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI). Accordingly, MLI entered into force for

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Indonesia: Tax reform bill submits to House of Representatives

19 February, 2020

On 31 January 2020, the Directorate General of Taxation has submitted the tax reform bill to the House of Representatives. The bill proposed to cut the corporate tax rate to 22% in 2021 and 2022 and to 20% from 2023, and further reduce the

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OECD: Tax Report to the G20 Finance Ministers

15 February, 2020

On 14 February 2020 the OECD published the Tax Report to the G20 Finance Ministers, in advance of their meeting on 22 and 23 February 2020. The report covers recent international tax developments. Tax challenges of the digital economy Pillar

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India: Finance Minister presents Union Budget for 2020-2021

04 February, 2020

On 1st February 2020, Indian Finance Minister Nirmala Sitharaman presented the Union Budget 2020-21 in the Lok Sabha. The budget includes the following key tax proposals: Abolishment of dividend distribution tax The budget proposes

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UK: Statistics on Transfer Pricing and Diverted Profits Tax

03 February, 2020

On 27 January 2020 HMRC published statistics relating to transfer pricing and the diverted profits tax. HMRC had 441 full time equivalent staff working on international tax issues involving multinational groups in 2018/19, including transfer

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Czech Republic: Senate approves DTA with Taiwan

31 January, 2020

On 30 January 2020, the Senate of the Czech Republic approved the Double Taxation Agreement (DTA) with

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Zambia: Parliament enacts Tax Amendment Act 2020

23 January, 2020

On 27 December 2019, Zambian Parliament has enacted the Tax Amendment Act 2020 regarding the decree of the National Budget 2020. Income tax amendment is included in Act No. 15 of 2019 which is effective from 1 January 2020. The amendments regarding

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DTA between China and New Zealand enters into force

05 January, 2020

On 27 December 2019, the Double Taxation Agreement (DTA) between China and New Zealand was entered into force and applies from 1 January 2020. From this date, the new DTA will replace the existing DTA of 1986. The DTA contains Dividends rate 5% for

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DTA between Ecuador and Japan enters into force

31 December, 2019

On 28 December 2019, the Double Taxation Agreement (DTA) between Ecuador and Japan was entered into force and applies from 1 January 2020. The DTA contains Dividends rate 5%, Interest rate 10%, and Royalties rate

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DTA between Estonia and Hong Kong enters into force

25 December, 2019

On 18 December 2019, the Double Taxation Agreement (DTA) between Estonia and Hong Kong was entered into force and applies from 1 January 2020 for Estonia and from 1 April 2020 for Hong Kong. The DTA contains Dividends rate 0% if the beneficial

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DTA between Czech Republic and Korea (Rep.) enters into force

25 December, 2019

On 20 December 2019, the Double Taxation Agreement (DTA) between Czech Republic and Korea (Rep.) was entered into force and applies from 1 January 2020. From this date, the new DTA replaces the former DTA of 1992. The DTA contains Dividends

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Tax treaty between Colombia and the UK enters into force

22 December, 2019

On 16th December 2019, the Double Taxation Agreement (DTA) between Colombia and the United Kingdom (UK) was entered into force and applies from 1 January 2020. The DTA contains Dividends rate 0% if the beneficial owners is a pension fund or scheme,

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DTA between Bangladesh and Czech Republic signs

20 December, 2019

On 11 December 2019, the Double Taxation Agreement (DTA) between Bangladesh and Czech Republic was signed in Prague. The DTA contains Dividends rate 10% for at least 25% capital holding; otherwise 15%, Interest rate 10%, and Royalties rate

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Amending protocol to the Nordic tax treaty enters into force

12 December, 2019

On 28 November 2019, the amending protocol to the Nordic tax treaty (Denmark, the Faroe Islands, Finland, Iceland, Norway, and Sweden) was entered into force in respect of Norway and applies from 1 January

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Ireland: Revenue publishes eBrief No. 203/19 on dividend withholding tax

08 December, 2019

On 5 December 2019, Revenue published eBrief No.  203/19 regarding the public consultation reminder of Dividend Withholding Tax (DWT). On 8 October 2019, the Finance Minister, announced a new process for applying and collecting Dividend

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