Egypt: Increased tax rate and others

20 August, 2014

Egyptian corporate tax rate is temporarily increased from 25% to 30% for a three-year period with respect to income exceeding a threshold amount. Other tax changes in Egypt concerning: Capital gains on dispositions of securities; Dividends and

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South Korea- Tighten Thin Capitalization Rules

14 August, 2014

Under revised thin capitalization rules of South Korea proposed for 2015, overseas multinational companies performing business would have to pay a higher tax. The existing thin capitalization rules reject the South Korean unit of a foreign

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Chile: Amendments in tax bill propose new corporate tax system

14 August, 2014

The Government has published a bill to adjust the proposals in the original tax reform legislation. The amendments to the tax reform bill are given below: A new corporate income tax system would build under which taxpayers could be able to choose

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Australia – Reduces safe harbor for thin capitalization

12 August, 2014

Australia recently reduced the safe harbor rule for thin capitalization limit from 75% to 60%, corporate groups may want to consider what steps to take with respect to their thin capitalization positions. With effect from 1 July 2014 the permitted

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Czech Republic: Obligatory reporting on related-party transactions

11 August, 2014

The Czech Tax Administration has declared a new reporting obligation for all entities accountable for corporate income tax in the Czech Republic who has dealings with related parties. Czech taxpayers will have to file a separate disclosure form

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Lithuania: Approved notification form for investment projects

07 August, 2014

The head of the State Tax Inspectorate under the Ministry of Finance approved the form PLN210 and its appendices by way of Order VA-34 on 5 June 2014. From 1 January 2015, companies that are preparation to take advantage of the investment project

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Canada: Interest rates of prescribed income tax unchanged for Q4 2014

07 August, 2014

The Canada Revenue Agency has declared that the interest rates of prescribed income tax for taxable benefits overpaid and underpaid taxes for the fourth quarter (Q4) of 2014 i.e. from October 1, 2014 to December 31, 2014 will stay

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France-Amended Finance Bill for 2014

01 August, 2014

The national assembly of France adopted the Amended Finance Law and the Amended Finance Law on Social Security for 2014 on 23 July 2014.The Constitutional Court will now review the law and after signing by the president the law will enter into

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Nigeria: Changes Income tax law for companies

24 July, 2014

According to section 55 of the income tax law for companies, the Federal Inland Revenue of Nigeria has declared a policy change and stated that non-resident companies will be required to file their returns. Non-resident companies have filed their

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Peru-New resolution on reporting of stocks and shares

21 July, 2014

The Peruvian tax authority issued Resolution 200-2014-SUNAT/4B0000 which entered into effect on 28 June. The resolution amended the Resolution 169-2014-SUNAT/4B0000. According to the new resolution Form 1065 need not to be filed for the issuance,

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Philippines: BIR strengthens control over large taxpayers

21 July, 2014

The Bureau of Internal Revenue (BIR) has strengthened its monitoring of the country’s large taxpayers, particularly on the value-added tax (VAT). BIR’s collections of first half of this year reached PHP643.2bn (USD14.8bn), which is more than

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Chile: The Senate endorses tax reform bill

20 July, 2014

According to a statement from the Ministry of Finance, the Chilean Senate has approved tax reform bill from the President on July 15, 2014. An agreement between the government and the Senate's Finance Committee has taken place earlier this month for

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Qatar: An unique incentive have been introduced by the QFC

16 July, 2014

An unique and innovative incentive have been introduced by the Qatar Financial Centre (QFC) Authority as amendments to the Tax Regulations and Tax Rules regarding using new areas of tax relief and tax losses, mostly providing an advantage for Qatar

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Russia: Revised draft changes related to introduction of CFC rules

16 July, 2014

The Ministry of Finance has released a revised version of the draft law regarding introduction of CFC rules. The important changes of the revised draft law are given below: • Concepts regarding “Beneficial owner” and “actual right to receive

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US: Government tends to curb on Offshore Deals

16 July, 2014

The Obama administration called for immediate congressional action to stop U.S. companies from using cross-border mergers to avoid the country’s tax system. A growing number of U.S. companies are looking to escape their federal tax bills by

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Vietnam: Issues new Circular on Corporate Income Tax

15 July, 2014

The Ministry of Finance published Circular No. 78/2014/T-BTC (Circular No. 78) on 18 June 2014, which provides additional execution guidance in respect of Decree No. 218/2013/ND-CP (Decree No. 218) which was issued on 26 December 2013. Decree 218,

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India: Introduces new rules aim to reduce transfer pricing tax disputes

14 July, 2014

The government of India introduced new tax rules with their new budget target to reducing litigation with multinational firms over cross-border transactions the government considers tax avoidance schemes. Now days, transfer pricing is an application

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Slovak Republic: New improvements in Transfer Pricing

14 July, 2014

The Financial Directorate in Slovak Republic has issued a methodological guideline on the application of transfer pricing methods. According to the changes to the OECD Transfer Pricing Guidelines in July 2010, the amendment to the ITA has abolished

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