France-China Income Tax Treaty Enters Into Force

13 January, 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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US: IRS Updates Withholding of Tax on Nonresident Aliens And Foreign Entities

07 January, 2015

The US IRS has updated publication 515 regarding withholding of tax on nonresident aliens and foreign entities. The Publication is for withholding agents who pay income to foreign persons, including nonresident aliens, foreign corporations, foreign

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Czech Republic-Liechtenstein Tax Treaty signed

25 September, 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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Czech Republic-Colombia Income Tax Treaty details

18 September, 2014

The Income Tax Treaty (ITT) between Colombia and Czech Republic has accepted Colombian Congress and it was signed on March 22, 2012. The treaty was concluded in the Czech, English and Spanish languages and needs to be declared constitutional by the

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

04 September, 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

27 August, 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

18 August, 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

01 August, 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

29 July, 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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Russia: MoF clarifies tax agents’ obligations of the securities depositories

04 July, 2014

The Ministry of Finance (MoF) has issued Letter No. 03-08-13/22654 on May 14, 2014 for clarifying the tax agents' responsibilities of the securities depositories making transfers to Russian and foreign companies further to dividend distributions.

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Russia: Relief from tax liability and non-payment of withholding tax due on dividends

03 July, 2014

The Federal Law No. 167-FZ that amended tax code has entered into force with effect from June 24, 2014. On the basis of Federal law, companies that failed to complete their withholding tax obligations subject to dividends paid to Russian companies

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Withholding tax rates within DTA between Mexico and UAE

24 June, 2014

The DTA between Mexico and UAE of 2012 have signed on November 20, 2012. The maximum withholding tax rates are 4.9% on interest paid to banks and 10% on interest paid to rest of the cases. The treaty normally follows OECD model and will apply

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Malta – Moldova ratified the DTA

18 May, 2014

Malta has ratified the double taxation agreement (DTA) signed with Moldova. Under the terms of the agreement, withholding tax on dividends paid from Moldova is restricted to 5%, and withholding tax on interest and royalties between the two countries

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New Zealand’s Compliance Activities Paying Dividends

20 April, 2014

In New Zealand the Revenue Minister has said that every dollar spent in efforts to combat tax evasion in the ‘hidden economy’ raised NZD5.60 last year. At the OECD conference on “Cash and Hidden Economy” the Prime Minister informed the

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Spanish Supreme Court confirms the minimum participation withholding rate for application of Spain-Netherlands tax treaty

16 April, 2014

The Spanish Supreme Court issued a decision on 6 March in relation to application of the double tax agreement between Spain and the Netherlands signed on 16 June 1971. The Court confirmed that the 5% reduced rate for withholding tax under the DTA

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Germany and China sign a DTA and Protocol

16 April, 2014

Germany and China signed a new double tax agreement (DTA) and Protocol on March 28 2014. The agreement generally follows the provisions of the OECD Model but the definition of a permanent establishment includes the provision of services in the other

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Italian Government Introduces Withholding Tax on Inbound Wire Transfers

09 March, 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

17 December, 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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