MFN clause of the protocol to the Income and Capital Tax Treaty between France and Chile of 2004 activated

27 December, 2016

The Tax Administration of France updated the guidance on 4 November 2016 about activation of the most favoured nation (MFN) clauses concluded by France on certain tax treaties. Accordingly, the MFN clause in paragraph 6 of the protocol to the Chile

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Most favoured nation clause of the protocol to the Bolivia – France Income and Capital Tax Treaty (1994) activated

27 December, 2016

The Tax Administration of France updated the guidance on 4 November 2016 about activation of the most favoured nation (MFN) clauses concluded by France on certain tax treaties. Accordingly, the MFN clause in article 5 of the protocol to the Bolivia

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Hungary-Ratified the income tax treaty of 2016 with Oman

27 December, 2016

The government of Hungary ratified the Hungary - Oman Income Tax Treaty (2016) on 15 December 2016 by way of Law No. CLXXVII which was published in the Official Gazette No. 210 on 20 December

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Malta, Vietnam income tax treaty enters into force

26 December, 2016

On 25 November 2016, the income tax treaty between Malta and Vietnam was entered into force. This treaty will apply from 1 January

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Spain-Estonia MFN clauses under DTA activated

26 December, 2016

The Spanish Ministry of Finance and Public Administration published a letter on 14 June 2016 addressed to the Estonian Minister of Finance. The letter activates the most-favoured-nation (MFN) clauses included in the Estonia - Spain Income and

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DTA between Austria and Iceland approved

24 December, 2016

The Austrian National Council approved the Austria - Iceland Income and Capital Tax Treaty (2016) on 15 December 2016 for the avoidance of double taxation. The treaty generally follows the OECD Model. According to the new treaty the maximum rates of

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DTA between Canada and Israel entered into force

23 December, 2016

The Income Tax Treaty (2016) between Canada and Israel has been entered into force on 21st December 2016 for avoiding double taxation and it generally applies from 1st January 2017 for withholding and other taxes. But, the provisions of article 23

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UK: Double Taxation Treaties (Developing Countries) Bill 2016-17

23 December, 2016

On 20 January 2017, The Double Taxation Treaties (Developing Countries) Bill 2016-17 is expected to resume its second reading debate. The Bill places a duty on the Chancellor of the Exchequer to align the results of double tax treaties with

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UAE ratified income tax treaty with Andorra

21 December, 2016

The United Arab Emirates (UAE) have ratified the income tax treaty with Andorra that was signed on 28 July 2015. The federal decree 166/2016 ratifying the treaty was issued by the president of the United Arab Emirates and was published in a recent

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Guernsey, United Kingdom amending protocol enters into force

20 December, 2016

On 6 December 2016, the amending protocol and exchange of letters of income tax treaty between Guernsey and United Kingdom entered into force that was signed on 9 March 2016 by Guernsey and on 29 February 2016 by the United

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DTA between Chile and Japan approved

20 December, 2016

The Income Tax Agreement (2016) between Chile and Japan has been approved by the Chilean Senate on 14th December 2016 due to avoid double

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DTA between Chile and Italy approved

20 December, 2016

The Income Tax Treaty (2015) between Chile and Italy has been approved by the Chilean Senate on 14th December 2016 for the avoidance of double

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DTA between Chile and Czech Republic approved

20 December, 2016

An Income and Capital Tax Treaty (2015) between Chile and Czech Republic has been approved by Chilean Senate on 14th December 2016 for the avoidance of double

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China and Pakistan signed third protocol

19 December, 2016

On 8 December 2016, China and Pakistan signed an amending protocol to the Avoidance of Double Taxation Agreement. Mr. Wang Jun, Commissioner State Administration of Taxation (SAT) China and Mr. Nisar Muhammad, Chairman Federal Board of Revenue (FBR)

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South Africa-Singapore tax treaty (2015) entered into force

19 December, 2016

The Income Tax Treaty between South Africa and Singapore entered into force on 16 December 2016.  The treaty generally applies from 16 December 2016 for tax matters relating to the exchange of information and from 1 January 2017 for withholding and

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Uruguay- DTA with Singapore approved

18 December, 2016

The Parliament of Uruguay accepted the treaty with Singapore for the avoidance of double taxation on 24 November 2016 through Law No. 19,457. The treaty contains a provision on exchange of information which will enter into force within 15 days after

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UK ratified DTA with Turkmenistan

18 December, 2016

On 14 December 2016, the United Kingdom ratified the double tax treaty (DTA) with Turkmenistan by way of the Double Taxation Relief and International Tax Enforcement Order 2016, as published in Official Gazette No. 1217 of 14 December 2016. Once in

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Cyprus-India tax treaty entered into force

18 December, 2016

The Income Tax Treaty between Cyprus and India entered into force on 16 December 2016.  The agreement was signed in November 18, 2015. The treaty generally applies from 1 January 2017 for Cyprus and from 1 April 2017 for

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