Luxembourg: Parliament does not support EU proposal on CCCTB

27 December, 2016

The Luxembourg parliament on 22 December 2016 adopted a resolution indicating that Luxembourg does not support the re-launched Common Consolidated Corporate Tax Base (CCCTB) proposal because it is regarded as incompatible with the subsidiarity and

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Luxembourg: Parliament adopts country-by-country reporting

27 December, 2016

The Luxembourg Parliament on 13 December 2016 passed legislation implementing country- by-country (CbC) reporting requirements for Luxembourg entities that are part of a Multinational Enterprise Group (MNE Group). The new CbC reporting legislation

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Hungary-Ratified the income tax treaty of 2016 with Oman

27 December, 2016

The government of Hungary ratified the Hungary - Oman Income Tax Treaty (2016) on 15 December 2016 by way of Law No. CLXXVII which was published in the Official Gazette No. 210 on 20 December

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Luxembourg-Tunisia amending protocol to treaty entered into force

27 December, 2016

The amending protocol to treaty between Luxembourg and Tunisia entered into force on 30 November 2016. The treaty was signed on 5 September 2014 to the Luxembourg - Tunisia income and capital tax treaty (1996) . The protocol generally applies from

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Luxembourg: Parliament adopts Budget 2017

27 December, 2016

The Luxembourg parliament adopted the 2017 Budget bill no.7050 on 22 December 2016. The draft budget was presented to the parliament on 12 October

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Luxembourg: Parliament adopts 2017 tax reform

27 December, 2016

The Luxembourg Parliament adopted the 2017 tax reform (parliamentary document n°7020) on 14 December 2016 which introduces new tax measures affecting both individual and corporate taxpayers. The publication of the law is expected to be made in the

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Latvia: VAT on Budget 2017

27 December, 2016

The Latvian 2017 budget has introduced a range of changes to the VAT, which take effect from the 1st of January 2017.  Refunds claim concerning over-payment in the monthly basis reduced from EUR 11, 328.97 to EUR 5, 000. The option for bi-annual

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Denmark: CJEU decision regarding exemption for interest income

27 December, 2016

The Court of Justice of the European Union (CJEU) on 21 December 2016, published a judgment in the case of:Masco Denmark and Damixa about the Danish corporate tax rules that provide an exemption from tax for interest income on loans provided by a

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Belgian circular on individual taxation

26 December, 2016

The Belgian tax administration published a Circular on the taxation of non-resident individual taxpayers on 9 December 2016. A division is made between 3 groups of non-resident individuals that contains (a) non-residents obtaining 75% of their

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Malta, Vietnam income tax treaty enters into force

26 December, 2016

On 25 November 2016, the income tax treaty between Malta and Vietnam was entered into force. This treaty will apply from 1 January

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Spain-Estonia MFN clauses under DTA activated

26 December, 2016

The Spanish Ministry of Finance and Public Administration published a letter on 14 June 2016 addressed to the Estonian Minister of Finance. The letter activates the most-favoured-nation (MFN) clauses included in the Estonia - Spain Income and

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Spain: Tax authority announced model country-by-country reporting form

26 December, 2016

Recently the Spanish tax authorities published a communication announcing the submission of a model country-by-country (CbC) reporting form (231). The form has not yet been approved. Under the Spanish corporate income tax regulations any entity or

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Sweden: Legislated Budget for 2017

26 December, 2016

The Government has been enacted the Budget Bill for 2017 on 16 December 2016. The budget will apply from 1 January

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Spain: IMF urge to fiscal reform

26 December, 2016

The International Monetary Fund (IMF) published the Staff Concluding Statement of the 2016 Article IV mission on 13 December 2016. The statement includes a series of recommendations in order to improve the Spanish economy; it includes labour,

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Ireland: State aid investigation of TP rulings

25 December, 2016

The final decision of European Commission (EC) was published this week on its state aid investigations into Transfer Pricing (TP) rulings granted by Ireland to a US multinational group. Although the decision was announced in August 2016, publication

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Ireland: Entity registration form

24 December, 2016

The Irish Revenue Commissioners released a “reporting entity” registration form which is required to be filed by entities that do not already have an Irish Tax Reference Number or a Revenue Customer Number (RCN), and that have reporting

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Draft bill of program law adopted by Belgian parliament

24 December, 2016

In December 2016, a draft bill of program law was submitted to the Belgian parliament and it contains the tax measures, including an increase of the standard withholding tax rate on dividends, interest and royalties from 27% to 30%. The measures

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DTA between Austria and Iceland approved

24 December, 2016

The Austrian National Council approved the Austria - Iceland Income and Capital Tax Treaty (2016) on 15 December 2016 for the avoidance of double taxation. The treaty generally follows the OECD Model. According to the new treaty the maximum rates of

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