Italian Government Introduces Withholding Tax on Inbound Wire Transfers

March 09, 2014

Italy has recently introduced legislation instructing banks to withhold 20% on certain inbound wire transfers. The inbound wire transfers affected by this measure include income earned from foreign investments, financial gains, interest, dividends

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Czech Republic-Kosovo DTA signed

December 17, 2013

The Czech Republic and Kosovo has signed a double tax agreement (DTA) on November 26, 2013 and it tends to follow the ideas of the OECD Model. The definition of a permanent establishment contains the provision of services in the other contracting

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Income tax treaty between Luxembourg and Laos

December 08, 2013

An income and capital tax treaty between Luxembourg and Laos has been ratified, and awaiting the exchange of instruments of ratification before the treaty can enter into force. The Luxembourg and Laos income tax treaty provides withholding tax rates

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Spanish Government Approves DTA with United Kingdom

October 07, 2013

On 20 September 2013, the Ministry of Finance of Spain announced that the Council of Ministers has approved the agreement with the UK for the avoidance of double taxation and prevention of fiscal evasion with respect to income and equity. The new

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New Income and Capital Tax Treaty between Hungary and Switzerland

September 19, 2013

The Income and Capital Tax Treaty between Hungary and Switzerland was signed on 12 September 2013. After entering into force and becoming effective the new treaty will replace the existing Hungary – Switzerland Income and Capital Tax Treaty of

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Treaty between Finland and Tajikistan enters into force

September 10, 2013

On 5 September 2013, the Finland- Tajikistan Income Tax Treaty (2012)  entered into force. The treaty generally applies from 1 January 2014. The new treaty generally follows the provisions of the OECD Model Tax Convention. Under the provisions of

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Germany: Amendments to the taxation of portfolio dividends

May 08, 2013

A new law in respect of dividend taxation was published in the Federal Gazette on 21 March 2013. This law has been introduced following a decision of the European Court of Justice in 20 October 2011 which required a review of the taxation of

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Treaty between Ireland and Ukraine signed

April 29, 2013

Ireland and Ukraine signed a Double Tax Agreement on 19 April 2013. This DTA represents an important step in boosting trade relations between Ireland and Ukraine. The treaty will enter into force when the relevant ratification procedures have been

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India and Malta have signed a new Double Taxation Avoidance Agreement

April 17, 2013

India and Malta have signed a new Double Taxation Avoidance Agreement (DTAA) on April 8 2013. The provisions of the treaty generally follow the provisions of the OECD Model but the definition of a permanent establishment includes a building site or

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Treaty between Cyprus and Finland enters into force

April 17, 2013

On 28 April 2013, the double tax agreement that was signed on 15 October 2012 between Cyprus and Finland will enter into force. The treaty generally follows the provisions of the OECD Model. Under the treaty the maximum withholding tax rate on

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Treaty between Albania and United Kingdom signed

April 01, 2013

On 26 March 2013, Albania and the United Kingdom signed a Double Taxation Agreement. The agreement generally follows the provisions of the OECD Model, with some modifications.  The agreement will enter into force when the appropriate ratification

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Treaty between US and Poland signed

February 24, 2013

United States has signed an Income Tax Treaty (2013) with Poland on 13 February 2013 which will replace the existing agreement, signed 1974.  The new treaty provides for reductions in withholding taxes on cross-border payments of dividends,

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Tax treaty signed between Germany and Oman

February 17, 2013

A double taxation treaty between Germany and Oman was signed in Muscat on 15 August 2012. This follows the conclusion of a bilateral investment promotion and protection treaty which was signed in 2010. The double taxation treaty generally follows

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Latvia –Mexico: Treaty enter into force

February 17, 2013

The treaty between Latvia and Mexico for the avoidance of double taxation which was signed on 20 April 2012 is to enter into force on 2 March 2013. The maximum withholding tax on dividends is 10%, reduced to 5% where the recipient company is the

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Treaty between Barbados and United Kingdom enters into force

February 05, 2013

The Double Taxation Agreement between Barbados and the United Kingdom entered into force on 19 December 2012 which was signed in Barbados on 26 April 2012. The Double Taxation Agreement generally follows the provisions of the OECD Model; however

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Tax treaty between Hong Kong and Italy has been signed

February 05, 2013

Hong Kong has signed an agreement on 14 January 2013 with Italy for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income. The agreement generally follows the provisions of the OECD Model and has

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China and Ethiopia income tax treaty enters into force

February 05, 2013

The income tax treaty between China and Ethiopia, which was signed on 14 May 2009, entered into force on 25 December 2012. The treaty generally follows the OECD Model Convention. According to the treaty the maximum withholding tax rates on dividends

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Treaty between Finland and Cyprus signed

January 21, 2013

Finland and Cyprus signed an agreement on 15 November 2012 in Nicosia for the avoidance of double taxation, with both sides pointing out its significance for facilitating investments and strengthening bilateral ties. The agreement generally follows

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