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Luxembourg ratifies Double Tax Treaty with Cyprus
The treaty, which is based on the OECD Model Tax Convention with some modifications, was signed on 8 May 2017...
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Seamark Presenting…Global
Our session, entitled “Brexit: Can Cyprus form a reliable gateway to the EU?”, is scheduled for the second day of…
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Responding to Challenges
Over the last few years the international business sector has experienced unprecedented changes, which have totally reshaped the landscape including…
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Cyprus Company Obligations
With ever increasing regulations and reporting requirements, it is now of even more importance to ensure that Cyprus companies...
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Income Tax Exemptions on Employment in Cyprus – Tax Circular
Interpretative Circular 2017/4 deals with exemptions from income tax of income from employment in the Republic of Cyprus...
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Information about Tax Appeals becomes publicly available
The Tax Tribunal can now publish its rulings in relation to appeals against decisions of the Director of the Tax…
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Financing of/from Cyprus Companies: Challenges and Opportunities
There are many implications with regards to the set-up and operations of companies with international operations…
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Related Party Financing – A Totally Reshaped Landscape
As from 1 July 2017 related party financing transactions will need to comply with transfer pricing requirements...
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The 60-Day Tax Residency Rule
The new provision, also known as “60-day tax residency rule”, provides an incentive to individuals who are not tax residents…
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