Ukraine and UK sign protocol to amend the agreement on double taxation

October 10, 2017

On 9 October 2017, Minister of Finance Ukraine Oleksandr Danyliuk and State Secretary of Great Britain for Europe and America Alan Duncan signed the Protocol on amendments to the Agreement on the Avoidance of Double Taxation between Ukraine and the

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Ukraine: Parliament ratifies the double tax treaty with Malta

April 24, 2017

The Parliament of Ukraine on 13 April 2017 ratified the income and capital tax treaty with Malta. The Convention and the protocol to it were signed by the Government of Ukraine and the Government of Malta in September 2013. Under the provisions of

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Italy: Resolution publishes regarding interest on medium or long-term loans

September 30, 2016

The Italian Tax Authorities issued Resolution No. 84/E on 29 September 2016, providing clarifications on the tax treatment of qualifying interest on medium or long-term loans, following the amendments introduced by Law Decree No. 91 of 24 June

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Turkey: Clarifications to Corporate Tax Law General Application Communiqué declared

February 12, 2016

The website of the Revenue Administration published Corporate Tax Communiqué No. 9 (regarding clarifications to the Corporate Tax Law General Application Communiqué of 3 April 2007) on February 11, 2016. This measure has not yet been published in

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Russia: Amendment of tax law implements in 2016

January 26, 2016

In Russia, recently important tax laws were passed for corporate taxation from 2015 onwards, which will take effect from 2016. The major changes are given below: In 2016, an interest rate threshold from 75% to 125% for the Central Bank will apply

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Venezuela: Tax law changes that will be effective from 2016

January 09, 2016

The tax reform measures in Venezuela have been published in official gazette on 30th December 2015. Changes to the income tax law are effective from the beginning of January 2016. They include the following measures: The tax inflation

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New Zealand: Interest rate on low-interest loans

November 30, 2015

The Minister of Revenue declared that the approved interest rate will be decrease from 6.22% to 5.99% for calculating fringe benefit tax on low-interest loans. The new rate will be applicable from 23 November

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Hong Kong signed tax treaty with Romania

November 25, 2015

The Government of the Hong Kong Special Administrative Region signed an agreement on the avoidance of double taxation with Romania on November 18, 2015. Under the agreement, Romania's withholding tax rate on royalties, currently at 16 per cent, will

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Mexico: The tax reform package for 2016 published in the Official Gazette

November 25, 2015

Mexico published the tax reform package for 2016 including amended Federal Tax Code and Income Tax Law in the Official Gazette on 18 November 2015. The tax reform will be applicable from 1 January 2016.According to the tax reform package the main

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Croatia: Reduced interest rate for related-party loans

November 04, 2015

National Bank of Croatia has recently reduced bank interest rate from 7% to 3% per annum and was effective from 31 October 2015. This rate will be also decrease for the purposes of corporate profit tax law. The tax rate reduced from 7% to 3% per

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Cyprus: Central Bank To Reduce Interest Rates

February 18, 2015

The Central Bank of Cyprus announced lowering its interest rates by 1 percent as of March 1, 2015. The reduction will apply to all loans connected to the bank’s basic interest rate, both serviced and non-performing. In a statement, the bank

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France-China Income Tax Treaty Enters Into Force

January 13, 2015

The income tax treaty between France and China became effective from January 1, 2015. The treaty was signed on November 26, 2013 and the necessary ratification procedures have now been completed. Under the treaty, the following withholding taxes

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Czech Republic-Liechtenstein Tax Treaty signed

September 25, 2014

The Income and Capital Tax Treaty between Czech Republic and Liechtenstein on 25 September 2014 has been signed. In accordance with the agreement, 0% Withholding Tax (WHT) will apply if it is the case of a beneficiary company (other than a

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Japan: Details of the Japan and Oman DTT Agreement available Now

September 04, 2014

Japan and Oman Income Tax Treaty (2014) has been signed on 9 January 2014 and details of the treaty available now. The treaty generally follows the OECD Model (2010). The maximum rates of withholding tax are: 10% on dividends (5% if the

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Germany-Israel details of ICTT publishes

August 27, 2014

The Income and Capital Tax Agreement (2014) between Germany and Israel has published in detail. The treaty was accomplished in the German, Hebrew and English languages and it follows the OECD Model. The maximum 10% withholding rates are applied on

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Hong Kong and Republic of Korea Sign bilateral Double Tax Agreement

August 18, 2014

In order to avoid double taxation, Hong Kong and Republic of Korea signed a double taxation agreement on 08 July 2014. The Agreement was concluded in the Chinese, Korean and English languages, each text having equal authenticity. In the case of

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Russia: MoF clarified that exemption of interest is accepted upon confirmation

August 01, 2014

On the basis based of Russia-United Kingdom Income Tax Treaty, the Ministry of Finance released Letter No. 03-04-05/24803 issued on  May 23, 2014 regarding the tax treatment of interest paid by a Russian company to an individual resident in UK.

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Cyprus and Switzerland Sign bilateral Double Tax Agreement

July 29, 2014

In order to avoid double taxation, Cyprus and Switzerland signed an Income and Capital Tax Treaty on 25 July 2014. The treaty will enter into force after the two countries exchange ratification instruments. Under the treaty, the following

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