Mondaq All Regions: Tax > Withholding Tax
Levy & Salomao Advogados
After threatening to charge Withholding Income Tax (WHT) from local financial institutions acting as legal representatives of foreign investors if any Brazilian residents ...
Cassels Brock
The management of mid-market companies domiciled in Canada (or the U.S.) who consider embarking on business expansions south ...
Norton Rose Fulbright Canada LLP
Canada continues to be an attractive market for private equity investors with recent transactions highlighting significant investments into Canadian real estate and energy infrastructure assets.
Moodys Gartner Tax Law LLP
The IRS announced on May 21, 2018, the rollout of six additional compliance campaigns to be undertaken by the Large Business and International Division (LB&I).
Minden Gross LLP
As the spring starts to ramp up and owners contemplate opening their cottages for the season, many decide to sell a recreational property instead of battling the mosquitoes.
Minden Gross LLP
This article provides commentary on two changes contained in the US Tax Cuts and Jobs Act (TCJA) that are of interest to Canadians. The Act was signed into law on December 22, 2017.
Cayman Finance
MMFs are considered by many investors to be a relatively safe and highly liquid investment alternative to simply holding surplus cash in a bank account.
Shanda Consult Ltd
The double taxation avoidance treaty between Cyprus and Luxembourg which was signed on 8 May 2017 in Nicosia, has entered into force on 21 of May 2018 with the application of its provisions starting 1 January 2019 aiming to expand trade and economic relations between the two countries.
PwC Cyprus
On 1 June 2018, Cyprus ratified the double tax treaty it had signed with Andorra on 18 May 2018
Matheson
The Irish Revenue Commissioners (Revenue) were successful in arguing before the Appeal Commissioners that no general trading deduction ...
Matheson
The Irish Revenue Commissioners (Revenue) were successful in arguing before the Appeal Commissioners that no general trading deduction should be available for excess foreign tax incurred on royalties...
Dillon Eustace
Section 246 of the Taxes Consolidation Act, 1997 requires the deduction of income tax at the standard rate from annual (yearly) interest paid by (i) companies ...
Ozogul Yenigun & Partners
Bu yazımızda kamuoyunda af yasası olarak da adlandırılan "Vergi ve Diğer Bazı Alacakların Yeniden Yapılandırılması ile Bazı Kanunlarda Değişiklik Yapılmasına İlişkin Kanun Tasarı"sının...
Withers LLP
At the American Bar Association Section of Taxation Conference held on May 12, 2018, the IRS' plan to begin strictly enforcing the requirement to withhold taxes for cryptocurrency payments to nonresident aliens...
Ruchelman PLLC
On April 2, 2018, the I.R.S. published Notice 2018-29 (the "Notice"), describing Treasury Regulations it intends to issue with regard to the new withholding requirement on transfers of partnership interests ...
Ropes & Gray LLP
On May 21, 2018, the IRS Large Business & International Division ("LB&I") announced its fourth set of compliance campaigns.
Morgan Lewis
Businesses and nonprofits operating in Pennsylvania that hire independent contractors or corporate directors who live outside of Pennsylvania ...
Proskauer Rose LLP
On April 2, 2018, the Internal Revenue Service ("IRS") released Notice 2018-29[1] (the "Notice"), announcing the intention of the IRS and the Department of the Treasury to issue ...
ENSafrica
The income tax treaty between the Comoros Islands and the United Arab Emirates, signed on 26 March 2015, entered into force on 2 January 2018 and generally applies from 1 January 2019.
SKP Business Consulting LLP
The Federal Government of Nigeria has announced the extension of the deadline for filing returns under the Voluntary Assets and Income Declaration Scheme (VAIDS).
Latest Video
Most Popular Recent Articles
Ruchelman PLLC
On April 2, 2018, the I.R.S. published Notice 2018-29 (the "Notice"), describing Treasury Regulations it intends to issue with regard to the new withholding requirement on transfers of partnership interests ...
Shanda Consult Ltd
The double taxation avoidance treaty between Cyprus and Luxembourg which was signed on 8 May 2017 in Nicosia, has entered into force on 21 of May 2018 with the application of its provisions starting 1 January 2019 aiming to expand trade and economic relations between the two countries.
ENSafrica
The income tax treaty between the Comoros Islands and the United Arab Emirates, signed on 26 March 2015, entered into force on 2 January 2018 and generally applies from 1 January 2019.
Ropes & Gray LLP
On May 21, 2018, the IRS Large Business & International Division ("LB&I") announced its fourth set of compliance campaigns.
Cassels Brock
The management of mid-market companies domiciled in Canada (or the U.S.) who consider embarking on business expansions south ...
SKP Business Consulting LLP
Recently, in the case of Texas Instruments (India) Pvt Ltd[1], the Authority for Advance Rulings (AAR) held that salary paid in India to a non-resident employee deputed overseas would not be taxable in India.
Cayman Finance
MMFs are considered by many investors to be a relatively safe and highly liquid investment alternative to simply holding surplus cash in a bank account.
Reyes Abogados Asociados
La tributación de los asalariados fue incrementada dramáticamente, sin que medie ninguna razón de progresividad o de igualdad social como sustento.
Khaitan & Co
A jump of 30 ranks (from 130th to 100th) to make an entry into the top 100 in the World Bank's Ease of Doing Business index in its Doing Business Report 2018 clearly shows the results of the legislative improvements ...
Dentons
The Secretariat General for Taxation in Oman recently declared withholding tax to be applicable on all payments for services made to foreign persons without permanent establishments in Oman ...
Article Search Using Filters
Related Topics
Mondaq Advice Centre (MACs)
Popular Authors
Popular Contributors
Up-coming Events Search
Tools
Font Size:
Translation
Channels
Mondaq on Twitter