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AGP Law Firm | A.G. Paphitis & Co. LLC
The Covid-19 crisis has not only led to serious implications for human lives, it is significantly impacting businesses and economies.
On 2 January 2019 the Cyprus Tax department (CT) issued a circular (ΔΕ5) explaining the practice that CT will apply in relation to the documentation of a transfer pricing study.
The popularity of the Multilateral Instrument Convention (MLI) is on the rise but few have understood and even less have seen its effect which has been argued to be a milestone in the history
Elias Neocleous & Co LLC
With the emergency situation generated by the COVID-19 pandemic continuing to affect the economy
Lappas & Co
Many of our readers are probably aware that Cypriot legislation states that individuals who spend more than 183 days during a tax year (the period from 1stJanuary until 31stDecember) in Cyprus are considered a Cyprus Tax Resident.
G. Vrikis & Associates LLC
VAT originally would have been charged at the standard rate of 19% on the value of the plot.
Danos & Associates LLC
An amendment to Cypriot law relating to income tax took place on the 21st of July 2017. This amendment led to a second test to the 183 day tax residency rule.
Oxford Management
The Republic of Cyprus has established itself as one of the most attractive jurisdiction within the EU and globally for holding companies.
Oxford Management
Deduction on New Equity (Article 9B), was introduced on the 16th of July 2015 with effective date the 1st of January 2015.
Kinanis LLC
The Directive (EU) 2018/822 expand once more the provisions of the Directive 2011/16/EU - Directive on Administrative Cooperation (DAC).
Harris Kyriakides
The Republic of Cyprus has published draft legislation to transpose Directive 2018/822/EU on mandatory automatic exchange of information in the field of taxation in relation to reportable
Elias Neocleous & Co LLC
On January 22 2020 the instrument of ratification of the Multilateral Convention to Implement Tax Treaty Related Matters (MLI), and the Cyprus position on the minimum standards of the MLI and...
Areti Charidemou & Associates LLC
In view of the strict restrictive measures imposed, the Municipality of Limassol informs the public that the deadline for the payment of the annual licensing fee has been extended to 31/05/2020.
PwC Cyprus
The coronavirus (COVID-19), and the measures taken by the governments to avoid the spreading of the virus, have already affected many businesses worldwide, including Cyprus.
Areti Charidemou & Associates LLC
An individual is a tax resident in Cyprus for income tax purposes if he/she stays physically in Cyprus for a period or periods exceeding 183 days in aggregate during a tax year.
Danos & Associates LLC
The new IP Box Regime means that laws in Cyprus on the taxation of Royalties are now in full compliance with the OECD guidelines.
PwC Cyprus
The updated EU ‘blacklist' and the EU ‘greylist' are effective as from 27 February 2020, being their date of publication in the Official Journal of the European Union.
PwC Cyprus
On 11 February 2020, the OECD issued the long-awaited final version of the Financial Transactions paper (first issued as a non-consensus document in July 2018).
European Union
PwC Cyprus
On 27 February 2020, the EU Council published a new Directive (2020/262) laying down the general rules for excise duties.
PwC Cyprus
Following signature jurisdictions should each complete their own domestic process to ratify/accept/approve the MLI.
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