ATax Advisors Limited
Corporate Tax Comparative Guide for the jurisdiction of Mauritius, check out our comparative guides section to compare across multiple countries
The Fourth Schedule of the Insolvency Act is amended to amend priority in which preferential creditors have to be paid.
Nishith Desai Associates
Mauritius renegotiating tax treaty is not confirmed yet.
Significant tax reforms have been introduced in the Global Business sector in Mauritius.
La préparation de ces documents est souvent longue et permet, dans une large mesure, de faire le tri et d'identifier ces cas qui sont peu défendables.
In this article, Priscilla and Rowin discuss the implementation of the OECD's Base Erosion and Profit Shifting Project in Mauritius.
Implications for Mauritius following the revision of the India-Mauritius Double Taxation Avoidance Agreement
Mauritius is a low tax jurisdiction with an investor-friendly environment to encourage both local and foreign companies to set up businesses.
AXIS Fiduciary Ltd
The Minister of Finance and Economic development has presented his 2016/2017 Budget this evening focused on ushering in ‘A New Era of Development':
According to the Notices, the DTAA with Congo and Egypt are deemed to have come into operation on 8 October 2014 and 10 March 2014 respectively.
The Government of India announced in a press release dated 10 May 2016 that Mauritius and India have signed a protocol amending the agreement for avoidance of double taxation with Mauritius.
Juristconsult Chambers is pleased to launch its second webcast which is this time on the Base Erosion Profit Shifting.
The new date also puts Mauritius at par with other competing financial services hubs such as Singapore and Switzerland.
La dernière édition de la Revue Bloomberg Businessweek présente en page de couverture Reno, capitale du Nevada, comme étant un des plus grands ‘tax havens' (paradis fiscaux) du monde.
Mauritius was one of the two countries from the African continent to sign the CAA (the other being South Africa).
The Mauritius Income Tax Act 1995 provides that "any person who derives or may derive any income may apply to the Director-General for a ruling as to the application of the Income Tax Act to that income".
Board of Investment
Time and again one question keeps knocking on the doors of every court: How ethical is tax avoidance?
AAMIL Global Financial Services