Nigeria: Tax withheld on dividends from gas operations

11 December, 2014

A decision of a case entitled “Nigeria Agrip Co. Ltd v. Federal Inland Revenue Service (10th December 2014)” has been issued by the Tax Appeal Tribunal and it states that dividends paid by a gas exploration and production company and paid out of

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Nigeria: Underpayment notices regarding interest, penalty assessments

11 December, 2014

The Tax Appeal Tribunal in Nigeria has issued a decision in a case regarding a taxpayer’s underpayment of company’s income tax, and the tribunal thought that interest and penalties on the underpayment are triggered and start to run when the

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Nigeria: Non-resident companies has made deduction of recharges

11 December, 2014

The Court of Appeal has set a decision about a case entitled Federal Board of Inland Revenue v. Halliburton (WA) Limited (CA/L/320/2009) on 2nd December 2014 for determining whether by requiring Halliburton WA to pay tax on the amounts received

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Saudi Arabia & Switzerland: DTA negotiations ongoing

09 December, 2014

According to an update published by the Swiss Federal Administration on 1 October 2014, negotiations of a Income Tax Treaty between Saudi Arabia and Switzerland are ongoing. Further details will be reported

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UAE: Memorandum of Understanding Signed with Free Zone

07 December, 2014

The Ministry of Finance (MoF) of the United Arab Emirates (UAE) signed a Memorandum of Understanding (MoU) with the Ras al-Khaimah Free Trade Zone, (RAK FTZ) on 17th November, 2014 (WAM). This agreement ensures that the free zone complies with the

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DTA negotiations between Turkey and Niger

07 December, 2014

On 6th November 2014, Niger and Turkey agreed to begin income tax treaty negotiations. This would be the first income tax treaty between the two countries. Before entering into force this treaty must be finalized, signed, and ratified by both

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Gambia and Qatar signed an DTA

07 December, 2014

On November 18 2014, Gambia and Qatar signed an income tax treaty. After the two countries have exchanged ratification instruments the treaty will enter into force. However, a previous treaty was signed between these two countries on 7th March,

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Iraq: Income Tax Treaties with Hungary, Sri Lanka, and Turkey

07 December, 2014

Draft income tax treaties with Hungary, Sri Lanka and Turkey have been approved by the Iraqi cabinet. The treaties will enter into force after they have been signed and ratified by the contracting

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UAE: Complying with the United States FATCA

07 December, 2014

The Dubai Financial Services Authority (DFSA) dispensed a letter to Dubai International Financial Center (DIFC), on 1 May 2014, regarding a program to collaborate with the United States on Foreign Account Tax Compliance Act (“FATCA”) compliance.

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Turkey: Turkish Petroleum Law regarding Taxation, Import, Export and Transfers

04 December, 2014

The Turkish Petroleum Law came into force on 11 June 2013. This Law introduced a revolution in the Turkish oil and gas industry as it levelled the playing field for foreign investors and removed the privileged rights of the State oil company. As

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DTA between Czech Republic and Senegal negotiated

03 December, 2014

The scheduled of the first round negotiations for a tax treaty between Czech Republic and Senegal is set to take place from 9th December to 12th December 2014 in Prague. Further details of this treaty will be reported

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Hungary, Bahrain, Saudi Arabia and Jersey: Approval of TIEA

02 December, 2014

On 25th October 2014, the Hungarian parliament approved the pending income tax treaties with Bahrain and Saudi Arabia and a tax information exchange agreement with Jersey. On 24th February 2014, the tax treaty between Hungary and Bahrain was signed

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Singapore and UAE: amending protocol to DTA signed

02 December, 2014

On 31st October 2014, Singapore signed an amending protocol to the countries' income tax treaty. This is the first amendment of the 1995 treaty. The protocol will enter into force after the countries exchange ratification

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Slovenia and UAE: DTA and accompanying protocol entered into force

02 December, 2014

On 27 August 2014 the Slovenia and United Arab Emirates treaty and accompanying protocol entered into force. The treaty and protocol was signed in Washington on October 12, 2013. As per the treaty, dividends, interest, and royalties will be taxable

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Luxembourg and UAE: protocol to DTA signed

02 December, 2014

On 26th October 2014, Luxembourg and the United Arab Emirates signed a protocol to the 2005 Luxembourg and U.A.E. income tax treaty in Abu Dhabi. The protocol will broaden the possibility of the treaty and updates to bring it up to the OECD

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Turkey: free trade zones are not required to calculate VAT

02 December, 2014

The tax court of Turkey settles that entities functioning in free trade zones are not required to calculate value added tax (VAT) using a reverse-charge basis with respect to services provided by resident and non-resident companies who are subject

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Dubai and China: first Chinese issuer to list a bond on an exchange in the Middle East

02 December, 2014

China has issued an RMB 1bn three-year bond on NASDAQ Dubai. The Agriculture Bank of China (ABC), China's third largest bank by assets, became the first Chinese issuer to list a bond on an exchange in the Middle East. The Emirate's stylish financial

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DTA between Japan and UAE

01 December, 2014

Japan and United Arab Emirates signed an Income Tax Treaty (2013) on 24 November 2014 and will be applicable from January 1, 2015. Details of the treaty will be reported

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