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1. Local tax developments
1.1 Main amendments to the Income Tax Law
1.2 Main amendments to the Capital Gains Tax Law
1.3 Loan restructurings tax provisions
1.4 Public interest rate
1.5 Income tax circulars and announcements
2. Tax treaties update
2.1 Amending protocol with Ukraine
2.2 Tax treaties effective from 1 January 2016
3. International tax update
3.1 BEPS
3.2 EC Investigations on tax rulings
3.3 CRS
4. Tax Diary for January – March 2016
The content of this article is intended to provide a general
guide to the subject matter. Specialist advice should be sought
about your specific circumstances.
On April 3, 2024, the Cyprus Tax Department published a new set of FAQs (from 17 to 24), aimed at clarifying specific aspects of Articles 33 and 33C of the Income Tax Law (ITL).
Cyprus has an extensive network of double tax treaties with various countries, which can help in reducing or eliminating double taxation. Take advantage of these treaties to minimize your tax liabilities.
When issuing invoices for both EU and non-EU transactions, there are specific VAT rules that your Cyprus company needs to be aware of to ensure compliance.
Following the publication in the Government Gazette on 12 April 2024 of Law N.45(I)/2024, increased capital allowances will be granted on capital expenditure incurred during the tax years 2023-2026 ...
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