Ukraine: Draft law proposed to introduce thin capitalization rules

11 November, 2015

Draft law No. 3357 on amending the Tax Code of Ukraine regarding tax liberalization was registered in the Ukrainian parliament on October 26, 2015. The draft law have proposed several tax measure including thin capitalization rules and distributed

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UK: bad debt relief on peer to peer lending

02 June, 2015

In the Autumn Statement for 2014 delivered in December 2014 the Chancellor announced a package of measures in support of peer to peer lending and crowdfunding platforms. The reforms are intended to modernize the regulations and tax rules. One of the

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Russia: The MoF clarifies requirements to claim tax deduction of expenses

17 February, 2015

The Federal Tax Service has released Letter No. 03-03-10/4547 to clarify the requirements that must be completed by the primary accounting documents and it was issued by the Ministry of Finance (MoF). In accordance with the article 252 and article

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Malaysia: IRB Issues Public Ruling On Qualifying Plant And Machinery For Claiming Capital Allowances

05 January, 2015

The Inland Revenue Board of Malaysia (IRBM) released a public ruling (No.12/2014) on qualifying plant and machinery for claiming capital allowances on December 31, 2014. The objective of this Public Ruling (PR) is to explain whether an asset is a

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South Africa: SARS Issues Revised Capital Gains Tax Guide

28 December, 2014

The South African Revenue Service (SARS) has issued a revised version of its Comprehensive Guide to Capital Gains Tax (CGT). This update includes various changes since the guide was last published in 2011. As before the guide looks at what should be

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Basis of imposing tax of Resident Companies is wider than non-resident companies in Ireland

04 November, 2014

Resident company is taxed on its worldwide income and capital gains. It excludes most distributions received from other Irish-resident companies. A non-resident company operating through its Irish Branch is taxed on the profits obtained from that

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Luxemburg: Tax circular governing the functional currency regime

16 June, 2014

A tax circular letter containing framework of rules governing the functional currency regime (FRC) was issued by the Luxemburg Tax Authorities on 16 June 2014. It will apply to corporations that expresses in a currency other than Euro and maintain

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New Zealand: Approved new tax rate on employer loans

06 June, 2014

The Revenue Minister has approved the new interest rate on employer’s loan, which will be 6.13% (previously it was 5.90%). This new interest rate will be effective from 1 July of

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French Local Tax Reforms Have Cut Tax Burden

25 May, 2014

A report issued by the Board of Compulsory Levies (CPO) in France suggests that small and medium enterprises have benefited by the introduction of the local economic contribution in place of the local business tax. This contribution is the most

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Germany: Draft guidance amending corporate tax loss limitation rules

18 May, 2014

Germany has issued draft guidance to replace prior advice on the corporate tax loss limitation rules. The current guidance was issued in 2008 and although there have not been any changes to the basic provisions in this area the new guidance aims to

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Lithuania : Loss carry forward limitations, extended incentives and reduced VAT rates

23 February, 2014

Losses carry forward limitations: Beginning in 2014, the ability of corporations in Lithuania to carry forward tax losses, for corporate income tax purposes, is limited. In calculating their corporate income tax for 2014 and subsequent tax periods,

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Italy: Requirement of additional anti-fraud reporting on taxable supplies

01 August, 2013

All resident companies in Italian are now obliged by the Italian tax office to produce an annual report detailing all individual supplies (both sales and supplies received) of goods or services above Euro 3,600 to other businesses or consumers. In

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Philippines: New regulation on tax deduction in the event of failure to withhold tax

28 July, 2013

The Philippines issued Revenue Regulation 12-2013 (Rev. Reg. 12-2013) on 13 July 2013. Rev. Reg. 12-2013 is applicable to payments made to both domestic and foreign beneficiary and it will effective from 28 July 2013 for payments that are related

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Austria:Corporate tax guidelines limit interest deductions

08 May, 2013

The Austrian Ministry of Finance published revised corporate income tax guidelines in March 2013, to tightening the rules with respect to interest deductions in connection with “debt push-down models” and concerning tax loss carry forwards

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Thailand Refuses To Give Foreign Dividend Tax Exemption

09 July, 2012

It was published on 9 July 2012 that the Deputy Prime Minister and Finance Minister have immediately rejected a call from Thailand’s business sector for a tax exemption on dividends received from overseas investments. The Thai Chamber of Commerce

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Finland: Deductibility of interest limitations

13 June, 2012

On 13 June 2012 it was published that the Finnish Government has released a draft regarding a bill to limit the deductibility of interest expenses in business taxation. The goal of this proposed regulation is to secure Finland’s tax base and to

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