Mondaq Europe: Tax
Over the past years, Cyprus has been developed into one of the most favorable places for international business.
Over the past years, Cyprus has been developed into one of the most favorable places for international business.
Cyprus tax news on Cyprus Companies' intra-group financing transactions (New Cyprus transfer pricing rules on Cyprus Companies' intra-group financing transactions)
Eurofast Global Ltd
On 8 May 2017, Luxembourg and Cyprus signed their first double tax treaty ("Lux/Cyprus DTT").
A.G. Erotocritou LLC
Cyprus has introduced new rules with respect to establishing the tax residency of individuals, by an amendment to the Cyprus Income Tax Law passed in July 2017. It is important to note...
C.Savva & Associates Ltd
A Pure Holding Company is one that only holds shares and has no other activities.
Oneworld Ltd
Cyprus Tax Department has issued on 30 June 2017 a Circular with respect to the new rules for the taxation of intra-group financial arrangements, which became effective from 1 July 2017.
Maples and Calder
A little over a month from the Irish Government's Budget 2018, there are numerous predictions of measures which may be introduced.
Eptalex SAL
Per lungo tempo il Libano è stato noto a tutti per il regime di segretezza vigente nel sistema bancario, che risulta essere uno dei piu forti e stabili al mondo dal 1956, anno dell'entrata in vigour...
Eptalex SAL
The new Finance Law 2017 aims at putting Italy in a competitive position in order to attract people and organizations, and proposes an evident and remarkable reduction of tax on foreign income...
KPMG Luxembourg
The EU Arbitration Convention is currently used, with great effect, to improve how treaty disputes are settled in the EU.
KPMG Luxembourg
As a global mobility tax advisor I often hear comments like I am not taxable in country A as long as I stay for fewer than 183 days. Another common one is I am being paid from Country A, so I am not taxable in Country B.
The Polish government has just announced plans to replace the existing Special Economic Zones (SEZ) — scheduled to expire in 2026 — with a new system of permits providing a tax exemption...
Na sequência das dúvidas suscitadas quanto ao Adicional ao Imposto Municipal sobre Imóveis ("AIMI"), veio a Autoridade Tributária be Aduaneira publicar, no passado dia 31 de agosto, o Ofício Circulado n.º 40 115...
Smith & Williamson
In this week's tax update - criminal facilitation of tax evasion, HMRC's guidance on investors' relief, home loan and double trust schemes, offshore trusts and disguised remuneration.
Bircham Dyson Bell LLP
A series of changes to the taxation of individuals who resident in the UK but domiciled outside the UK, so called resident non-doms (RNDs) which came into force from 6 April 2017...
Withers LLP
Problems had arisen as, from 6 April 2016, a personal savings and dividend allowance was introduced for individuals...
Withers LLP
Since we have seen a focus and clamp down on tax avoidance/evasion and suggestions in the media that tax planning of any form is immoral if not illegal, some people have become nervous about taking any tax planning steps at all.
Proskauer Rose LLP
This decision concluded that such shares are OSC.
Brodies LLP
The impact of Brexit upon personal taxation is and will remain unclear for some time, but we have identified areas upon which a watchful eye will be required.
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Proskauer Rose LLP
As mentioned in our July 2017 edition of UK Tax Round Up, the UK has enacted a new corporate criminal offence of failing to prevent the facilitation of tax evasion.
Volciuc-Ionescu SCA
A tax on windfall gains obtained by domestic gas producers as a result of deregulating the sale prices for domestic natural gas was introduced in 2013 by Government Ordinance No. 7/2013 (GO 7/2013), ...
AGP Law Firm | A.G. Paphitis & Co. LLC
On Friday, July 14, the Parliament of Cyprus approved a bill granting tax resident status to individuals that spend at least 60 days in Cyprus per year, under certain conditions.
HMRC have already begun to issue enforcement notices to sponsoring employers for the payment of tax and National Insurance (NIC) liabilities in respect of employee benefit trusts (EBTs) on the basis that the arrangements facilitated forms of disguised remuneration to employees.
McDermott Will & Emery
Law Decree 14 February 2016, No. 18 (as converted by Law 8 April 2016, No. 49) expressly allows EU Alternative Investment Funds to carry out, under certain conditions, direct lending...
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