Czech Republic: Finance Minister announces to delay the DST with a reduced rate

02 June, 2020

On 14 May 2020, the Finance Minister announced in a televised interview that the Government agreed to reduce the digital service tax (DST) from 7% to 5%. Also, the Government agreed to postpone the introduction of DST until 1 January 2021. The

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Kenya publishes finance bill 2020 including taxation of digital economy

24 May, 2020

On 5 May 2020, the Kenya government published the Finance Bill, 2020 that includes a proposal for digital services tax and minimum tax. The bill proposes that income from services earned through a digital marketplace in Kenya will be taxed at the

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Brazil: A draft Bill published to introduce digital service tax

14 May, 2020

On 4 May 2020, Mr. João Maia, a Brazilian politician and Brazilian Congressman, proposed a Bill no. 2358/2020 to introduce the digital service tax (DST) and was submitted it in the Chamber of Deputies. The proposed tax, known as the contribution

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India introduces new equalization levy with effect from 1 April 2020

09 April, 2020

On 27 March 2020, the Central Board of Direct Taxes (CBDT) published the Finance Act 2020 which received the assent of the President on the same date that includes a new equalisation levy with effect from 1 April 2020. The levy will be charged at a

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France: FTA publishes new draft DST guidelines

08 April, 2020

On 30 March 2020, the tax authorities (FTA) published draft guidance with respect to the digital service tax (DST). The draft guide covers the information on how to determine if a user of a digital interface is located in France and the calculation

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Hong Kong issues a revised DIPN 39 on taxation of e-commerce transactions and digital assets

05 April, 2020

On 27 March 2020, the Hong Kong Inland Revenue Department (IRD) published a revised version of Departmental Interpretation and Practice Notes No.39 (Profits Tax Digital Economy, Electronic Commerce and Digital Assets-revised DIPN 39). The revised

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France: Tax authorities publishes additional guide regarding DST

30 March, 2020

On 23 and 30 March 2020, the tax authority published additional instructions regarding digital service tax (DST), which applies as from 1 January 2019. The new guidelines complete the submission obligations and rules of how to collect DST published

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Turkey publishes General Communiqué on Digital Service Tax (DST)

25 March, 2020

On 20 March 2020, the Turkish Revenue Administration has published the final version of General Communiqué on Digital Service Tax (DST). On 5 February 2020, the Turkish tax administration has published Draft General Communiqué on the

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Turkey: Tax administration publishes Draft General Communiqué on DST

12 February, 2020

On 5 February 2020, the Turkish tax administration has published the Draft General Communiqué on the Implementation of the Digital Services Tax (DST) on its website. The Turkish Parliament enacted Law No. 7194 on 5 December 2019 regarding DST at a

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France: Finance Minister announces suspension of DST collection for a year

27 January, 2020

On 22 January 2020, the Finance Minister declared that French government has agreed to suspend collection of its digital services tax (DST) until December 2020.

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Netherlands submits legislative proposal to implement ATAD postponed

20 July, 2018

The Secretary of State for Finance has forwarded Letter no. 2018-0000119097 to the Lower House of Parliament on 13th July 2018, announcing that the legislative proposal to implement the EU's Anti-Tax Avoidance (EU) Directive 2016/1164 (2016) (ATAD1)

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Poland: President signs GAAR provisions

09 June, 2016

The President of Poland has signed the bill amendments to the Tax Code including the General Anti-Abuse Rule (GAAR) requirements on 7 June 2016 and it is likely that GAAR will be introduced in July 2016. GAAR provisions will provide some tax

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Canada – Foreign affiliate anti-avoidance rule and tax efficient financing

11 May, 2014

The Federal Court of Appeal has upheld the verdict of a lower Court that the foreign affiliate anti-avoidance rule does not lead to the loss of the tax deduction in respect of exempt surplus dividends received from a US affiliate using a tax

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