Ireland: Surcharge on certain undistributed income of close companies

11 June, 2017

On 8 June 2017, Irish Revenue published the Tax and Duty Manual Part 13-02-05  which deals with the close company surcharge under section 440 TCA 1997, has been updated. The Manual explains that capital allowances are not deductible against estate

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Portugal: DTA with Ethiopia enters into force

11 June, 2017

The Double Taxation Agreement (DTA) between Ethiopia and Portugal entered into force on 9 April 2017. The agreement provides for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on

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Ireland: DAC2/CRS return deadline extended

11 June, 2017

The Irish revenue has delayed the filing deadline for DAC2/CRS returns until 18 August 2017. As the opportunity to begin filing is delayed, revenue reminds customers that the Registration facility for DAC2/CRS is still fully operational and

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Greece signs Multilateral Convention to Prevent Tax Avoidance, Double Taxation

11 June, 2017

The Deputy Finance Minister, Katerina Papanatsiou, signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting ("Multilateral Instrument" or "MLI"). More than 76 other countries and

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Canada: DTA negotiations with Germany

11 June, 2017

The Finance Department of Canada has declared that negotiations to update its Double Tax Agreements (DTA) with Germany will be held in June 2017. The main objective of this release is to ensure that persons whose interests are affected have an

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Germany signs the Multilateral Convention to implement tax treaty related BEPS measures

10 June, 2017

Finance Minister Schäuble signed the OECD Multilateral Instrument (MLI) on 7 June 2017 in Paris. The MLI instrument represents a vital step forward in the fight against base erosion and profit shifting (BEPS) and is a remarkable consensus agreed

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Netherlands: Bill on country-by-country reporting gazetted

10 June, 2017

The lower house of the Dutch parliament adopted a bill implementing EU directive 2016/881, mandating the automatic exchange of country-by-country reporting information among EU member states on 26th April 2017. On 2nd June 2017, EU directive

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UK signs MLI to prevent tax avoidance

08 June, 2017

On 7 June 2017, United Kingdom has signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (“Multilateral Instrument” or “MLI”) in Paris. Total 68 countries, including

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Ireland signs MLI to prevent tax avoidance

08 June, 2017

On 7 June 2017, Finance Minister Mr. Michael Noonan T.D. has signed the OECD Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (“Multilateral Instrument” or “MLI”) on behalf of

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Spain: Lower House approves 2017 Budget

07 June, 2017

Spain's lower house on 1 June 2017 approved the delayed 2017 national budget. The budget was presented on April 4th 2017. There is no significant change on direct taxation. A 10% reduced rate of VAT is expected to apply to specific product supplies

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Spain and Cape Verde sign double taxation agreement

06 June, 2017

Spain and Cape Verde signed a double tax agreement on 05 June 2017. The agreement provides for tax treatment appropriate to the circumstances of taxpayers carrying out activities at the international level, providing a framework of legal and fiscal

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Cyprus: FATCA data submission begins for 2017

05 June, 2017

The Cyprus Tax Department has notified financial institutions and their representatives that the data submission under the FATCA Intergovernmental Agreement for the year 2016 has started. This process will be performed through the Government Gateway

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Cyprus signs Protocol to amend the double tax agreement with San Marino

05 June, 2017

A Protocol amending the Convention for the Avoidance of Double Taxation with respect to Taxes on Income was signed on May 19th 2017 in Nicosia. On behalf of the Republic of Cyprus Mr. Ioannis Kasoulidis, Minister of Foreign Affairs of the Republic

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Germany implements legislation that restricts the tax deductibility of related-party royalty payments

05 June, 2017

The Federal Parliament and the Federal Council on 12 May 2017 and 2 June 2017 have agreed on the implementation of legislation which restricts the tax deductibility of the contributory payments under certain conditions. This royalty limitation rule

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Ireland: DTA negotiation with Kosovo

04 June, 2017

The first round of negotiation of Double Taxation Agreement (DTA) between Ireland and Kosovo are underway for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on

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Andorra approves DTA with Malta

04 June, 2017

On 25 May 2017, the general council of Andorra approved the Double Taxation Agreement (DTA) with Malta for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on

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Greece: Reform Law 4472/2017 published

02 June, 2017

The Government published Law 4472 on 19th of May 2017 in the Official Gazette. It includes several reform measures concerning the medium-term fiscal targets for 2018-2021 and tax cuts for legal entities. Therefore, the corporate income tax (CIT)

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Germany: Government approves signing of MLI to implement tax treaty related BEPS measures

31 May, 2017

The German Federal Parliament on 21 December 2016, approved the signing of the Multilateral Instrument (MLI) to implement into bilateral tax treaties the tax treaty-related measures arising from the OECD / G20 BEPS Project to tackle base erosion and

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