Mondaq Europe: Tax
PwC Cyprus
For the purposes of the Notional Interest Deduction the Cyprus Tax Authority has now announced the yield rates of the 10-year government bonds for the below countries as at 31 December 2018, i.e. the yield rates that apply for tax year 2019.
PwC Cyprus
As indicated in our Tax Update Newsletters N-5-2018 and N-16-2018 a new double tax treaty (the new DTT) between Cyprus and the UK was signed on 22 March 2018 and is effective in Cyprus as from 1 January 2019.
PwC Cyprus
The first-time double tax treaty (DTT) between Cyprus and Saudi Arabia signed on 3 January 2018 will enter into force on 1 March 2019 as per a recent update of the Cyprus Ministry of Finance.
Kaimakliotis LLC
The implementation of the Notional Interest Deduction rule in Cyprus since July 2015 has created a powerful tool to local and international organisations seeking new options to finance their operations.
Kaimakliotis LLC
Cyprus and the UAE have been close partners since the start of their bilateral relations in the 1960s.
Kaimakliotis LLC
On 22 March 2018, Cyprus and the United Kingdom signed a Double Tax Treaty Agreement which will come into force in due course once both countries have completed their parliamentary procedures and exchanged diplomatic notes.
Kaimakliotis LLC
On 18 May 2018, Cyprus and Andorra signed a double tax treaty (the "Treaty") which will become effective from 1 January 2019.
Paris senior counsel Noël Chahid-Nouraï and partner Laurent Olléon, formerly members of the tax chambers of Conseil d'État, France's highest administrative court ...
SKW Schwarz
The ECJ has been invoked for a preliminary ruling by the Fiscal Court in Düsseldorf.
Article 80 of the EU VAT directive provides that member states have the discretion to take measures to combat VAT fraud or evasion.
KPMG Luxembourg
On 10 February 2016, Luxembourg and Senegal reinforced their co-operation on an international level by signing a double tax treaty.
Arendt & Medernach
The Luxembourg VAT authorities have published a short preparedness notice about the VAT related consequences of a British exit from the European Union without a withdrawal agreement as from 29 March 2019.
On January 18, 2019, the Dutch Supreme Court ruled in favor of a South African company that claimed a refund of 5 percent Dutch dividend withholding tax based on the most favored nation clause in the South Africa – Netherlands tax treaty.
Baer & Karrer
A practice note published by the SFTA on 5 February 2019 adopts a highly welcome loosening of the conditions under which bonds/debentures ...
Erdem & Erdem Law
The legal procedure regarding capital decrease transactions of joint stock companies is regulated, in detail, between Articles 473 and 475 of Turkish Commercial Code No. 6102 ("TCC").
TMF Group
Operating between the United Kingdom and France, and wondering how Brexit changes your VAT obligations? Here are answers to some of the most frequently-asked questions.
MJ Hudson
I was recently invited to present at an event in Liverpool, focused on investment into businesses operating in and around the North-West.
Fenwick Elliott LLP
The construction industry enters 2019 a bit battered and bruised.
Proskauer Rose LLP
Three significant changes have been made to the Finance Bill published last October which will be included in the Finance Act 2019 (expected to receive Royal Assent in early February).
Altenburger Ltd legal + tax
The year 2018 was a challenging and interesting year for legal and tax developments affecting clients from Russia/CIS with business or personal interests in Switzerland.
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