Greece enacts ATAD’s reverse hybrid rule

30 June, 2022

On 30 June 2022, the government of Greece enacted legislation implementing ATAD's reverse hybrid rule with retroactive effect from 1 January 2022. The rule does not apply to collective investment vehicles. The new rule applies to situations where

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Canada: Government invites feedbacks on draft legislation regarding hybrid mismatches

10 May, 2022

On 29 April 2022, the Finance Department published a draft legislation proposals that would address hybrid mismatch arrangements, which are used primarily by multinational enterprises to avoid paying their fair share of tax, as committed to in

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Spain adopts ATAD2 anti-hybrid rules

16 March, 2022

On 9 March 2022, Spanish government amended the Corporate Income Tax (CIT) law and the Non-Resident Income Tax (NRIT) law to address hybrid mismatches. The purpose of these amendments is to enact into Spanish domestic law the anti-hybrid rules

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Italy: Final guidance on hybrid mismatches rules

12 February, 2022

On 26 January 2022, the Italian Revenue Agency (IRA) has declared the finalization of Circular No. 2/2022. The circular clarifies the hybrid mismatch rules that has introduced as part of the Decree No. 142 of 2018, which transposed the measures

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Bulgaria approves amendments to the CIT Act

27 January, 2022

On 20 January 2022, the Bulgarian Parliament passed the draft law amending and supplementing the Corporate Income Tax Act (CITA). The draft law provides for the implementation of the reverse hybrid mismatch rules of the EU Anti-Tax Avoidance

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Lithuania adopts important tax law changes

18 January, 2022

On 7 December 2021, the Lithuanian Parliament adopted several important amendments to the Law (No.IX-675) on the Corporate Income Tax of the Republic of Lithuania. The law proposed the following measures:  Effective from 1 July 2022, the

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Ireland: President signs Finance Bill 2021 into Law

03 January, 2022

On 21 December 2021, President signed the 2021 Finance Bill into Finance Act 2021, which provides for the implementation of the 2022 Budget measures as well as some necessary anti-avoidance measures and technical changes to the tax code. Some of

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France: Tax Authority publishes a guide regarding the application of anti-hybrid rules

22 December, 2021

On 15 December 2021, the Tax Authority published a guide, which covers the measures implemented in compliance with the EU Anti-Tax Avoidance Directive as amended (ATAD1 and ATAD2) as part of the Finance Law for 2020. The hybrid mismatch measures

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Australia: ATO issued PCG 2021/5 on imported hybrid mismatch rule

20 December, 2021

On 16 December 2021, the Australian Taxation Office (ATO) issued Practical Compliance Guideline 2021/5 on imported hybrid mismatch rule – ATO’s compliance approach (PCG 2021/5) relating to a practical administrative approach to the imported

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Finland: Parliament adopts bill to amend cross-border hybrid mismatch rules

09 November, 2021

On 29 October 2021, the Parliament of Finland has adopted the Bill No.204/2021 to amend cross-border hybrid mismatch rules, implementing the EU anti-avoidance directives. The bill includes following measures to transpose the reverse hybrid mismatch

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Ireland: Finance Ministry delivers the Budget 2022

15 October, 2021

On 12 October 2021, the Finance Ministry presented Budget 2022, which covers the following tax  measures: The new minimum effective corporation tax rate will be 15%. However, Ireland will continue to offer the 12.5% rate for businesses with

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Netherlands presents Budget for 2022

22 September, 2021

On 21 September 2021, the Dutch Budget for 2022 was presented. This year, the 2022 tax plan package mainly contains minor changes aimed at improving the tax system. In particular, improvements will be made to existing taxes in the areas of housing,

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Ireland: Government publishes Tax Strategy Group Papers prior to Budget 2022

20 September, 2021

On 16 September 2021, the Finance Department and the Department of Employment Affairs and Social Protection published Tax Strategy Group papers prior to Budget 2022. Some of the changes in the Budget papers are given below: Corporate tax As

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Ireland: Revenue updates TP rules for some qualifying companies

16 September, 2021

On 6 September 2021, the Revenue updated its guidance to assist some qualifying companies in accordance with Section 110 regarding the application of transfer pricing (TP) rules and other issues. Under Section 110, a company be a qualifying one if

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Ireland: Finance Ministry declares for a feedback statement on ATAD anti-hybrid rule

05 July, 2021

On 2 July 2021, the Finance Minister, Paschal Donohoe TD, launched a Feedback Statement on the Anti-reverse hybrid rule. The anti-hybrid rules are largely contained in ATAD2, which extended the basic anti-hybrid provisions of the first ATAD and

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Slovenia: MoF proposes several amendments to tax changes

30 April, 2021

On 16 April 2021, the Slovenian Ministry of Finance (MoF) has proposed several amendments to tax changes including the Bill on Amendments to the Value Added Tax (VAT) Act, the Bill on Amendments to the Corporate Income Tax Act, and the Bill on

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Canada: Finance Minister presents Budget 2021

22 April, 2021

On 19 April 2021, the Finance Minister, Chrystia Freeland, presented Budget 2021, which includes important business tax measures, digital service taxes, limitation of interest deduction, hybrid mismatch arrangements, transfer price cases, mandatory

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Ireland: Revenue publishes an eBrief to update guidance on anti-hybrid rules

30 March, 2021

On 29 March 2021, the Irish Revenue published an eBrief No. 068/21 to announce a manual to update the guidance on anti-hybrid rules. On the similar day, the Revenue also published a Tax and Duty Manual, which provides guidance on the anti-hybrid

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