Mondaq Europe: Tax
Kinanis LLC
Every physical person is eligible to receive lifetime exemptions when disposing immovable property in Cyprus.
PwC Cyprus
We now await publication of the DTT in the Cyprus Government Gazette.
G. Vrikis & Associates LLC
Article 9(B) of the Income Tax Law 2002 (as amended) provides for a notional interest deduction for tax purposes on new equity capital (ie, paid-up share capital and share premium) injected into companies and permanent establishments ...
Michael Kyprianou & Co LLC
Tonia Antoniou, Discusses Why Tax Benefits Offered In Cyprus Are A Competitive Advantage For Any Business.
C.Savva & Associates Ltd
The revenue to be included in the Cypriot tax base shall be computed in proportion to the company's actual participation in the CFC.
August Debouzy
A un moment où une souscription nationale est engagée pour la restauration de Notre Dame (Projet de loi AN n° 1881, 24 avr. 2019) et devant l'émoi national qui s'est récemment exprimé à travers
Jones Day
Existing contracts must be amended no later than December 31, 2019.
TMF Group
When you have employees working abroad, there are a number of important factors to consider.
Arnone & Sicomo
Arnone & Sicomo
The individual must not have been resident in Italy for at least nine out of ten tax periods before electing to apply the new tax regime.
Arnone & Sicomo
Purchase with "First Home" benefits in Italy: all 2019 news for Italian and foreign citizens who wish to buy a property in Italy.
KPMG Luxembourg
The Mandatory Disclosure Rules (MDR) Directive is one of the EU's latest initiatives aimed at increasing tax transparency and exchange of information in tax matters.
Arendt & Medernach
Amongst the main tax measures[1] , one can highlight the reduction of the maximum corporate income tax ("CIT") rate. In particular, the CIT rate for net profits exceeding EUR 200,000 is reduced
When a payment is made or received in a cryptocurrency it is treated like a payment in any other currency, for income tax purposes.
Dentons' Tax practice has been ranked Band 1 in Tax in Russia by Chambers Europe 2019, once again joining the leaders in this annual international ranking.
Prager Dreifuss
As one of the BEPS project's antitax avoidance measures, the OECD has developed a so called multilateral instrument which has been signed by 87 jurisdictions so far. The purpose of the MLI
Bener Law Office
International tax structuring in the Turkish market is evolving. What are the expectations for the future?
Charles Russell Speechlys
With effect from 6 April 2019, the scope of UK tax for non-residents has been extended to catch gains on disposals of interests in "property-rich companies".
STA Law Firm
For more clarity, if you are selling an asset, the sale value will generally be the sale price of that asset,
MJ Hudson
Welcome to 2019/20 and all that entails.
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Duff and Phelps
This Autumn, the budget will be delivered earlier than usual, on the October 29, 2018.
Khurana and Khurana
CIPA conference was organized at ITC Maurya in New Delhi on 15th November, 2018. The conference related to the Intellectual Property Rights and promoted IP practices in United Kingdom (UK),
In a judgment of the Royal Court issued on 20 March 2019, In the matter of the B Trust [2019] JRC 035, the Royal Court indicated that delay in bringing an application to set aside
ATOZ Tax Advisers
Over the last few years, transfer pricing and related documentation has become the hot topic in Luxembourg taxation in an evolving environment that is relying increasingly less on tax rulings
Xenios L. Xenopoulos LLC
Cyprus is and has been for many years now an established International Business and Financial Centre because of the incentives, the good infrastructure, and its considerably extensive network of Double Tax Treaties.
Please note that as a general principle EEA citizens are free to move to other EEA countries. Switzerland is in the Schengen Area and as such EEA citizens can move there and vice versa.
Maples Group
In this edition of the Maples Group Tax Update, we examine a number of current Irish, Luxembourg and international tax issues:
C.Savva & Associates Ltd
The revenue to be included in the Cypriot tax base shall be computed in proportion to the company's actual participation in the CFC.
Gider pusulası konusunda uygulamada sıklıkla rastlanılan yanlışların önlenmesine yardımcı olması bakımından, konunun vergisel ve sosyal güvenlik mevzuatı açısından değerlendirmesi yapılmıştır.
Arnone & Sicomo
Soparfi: all you have to know about the financial holding company in Luxembourg.
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