ARTICLE
18 January 2024

Cyprus Slashes Defense Tax On Passive Interest Income

E
Eurofast

Contributor

Eurofast is a regional business advisory organisation employing local advisers in over 21 cities in South East Europe, Middle East & the Baltics. The Organisation is uniquely positioned as one stop shop for investors and companies looking for professional services.
Cyprus has recently unveiled significant tax policy adjustments that directly impact various income streams. One notable change includes the reduction of the Special Defense...
Cyprus Tax
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Cyprus has recently unveiled significant tax policy adjustments that directly impact various income streams. One notable change includes the reduction of the Special Defense Contribution (SDC) rate for passive interest income, presenting noteworthy implications for individuals and companies actively engaged in financial planning.

Understanding the Dynamics: Active vs. Passive Income

The recent tax reforms shed light on the vital distinctions between active and passive income, each playing a crucial role in financial planning. Active income, derived from employment or business activities, necessitates ongoing effort and direct involvement. This encompasses earnings such as salaries, commissions, tips, and sales income. Conversely, passive income as revenue gained neither from your portfolio nor wages does not require an ongoing effort. It stems from rental properties, limited partnerships, and self-charged interest, and offers a more hands-off approach once the initial investment is made.

Importantly, the management of portfolio income, even if unchanged for extended periods, is not considered passive income. The Internal Revenue Service (IRS) recognizes the ongoing activity involved in actively managing investment portfolios.

Cyprus' Tax Landscape: Key Developments

On December 6, 2023, Cyprus made a significant stride in its tax landscape as the parliament voted to reduce the Special Defense Contribution (SDC) rate for passive interest income. This rate, previously set at 30%, has now been lowered to 17%, creating a favorable environment for individuals and enterprises earning passive interest income.

Active interest income, a distinct category, is subject to Corporation Income Tax at the standard rate of 12.5%. In contrast, passive interest income is now subject to both Corporation Income Tax and the reduced SDC rate of 17%, reflecting a strategic shift in the country's taxation policies.

For individuals and companies navigating these changes, Eurofast tax experts in Cyprus are well-equipped to provide guidance and tailored solutions. Our expertise ensures our clients and associates can effectively adapt to and leverage these innovations in Cyprus' evolving tax environment. For any further inquiries, contact Eurofast office in Nicosia at nicosia@eurofast.eu

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.

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