In particular, non-resident companies that are subject to UK tax on UK-source rental profits (see the Taxes on corporate income section for more information) will find their letting agent or tenants are obligated to withhold the appropriate tax at source (currently 20% without any allowances) ...
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Preventing Tax Treaty Abuse – a Toolbox with Preventive Measures for Ghana, South Africa, and Nigeria avoidance mechanism; (c) termination of a tax treaty; (d) tax treaty override; (e) beneficial ownership provisions; (f) BEPS recommendations on preventing treaty abuse; and, (g) a SAAR ...
Following the December 2010 start-up of the Jubilee Field, Ghana has begun receiving royalty and tax revenues from oil production. At peak production, Jubi... TW Bank - 《World Bank Other Operational Studies》 被引量: 2发表: 2012年 Oil producers in Kurdistan ask US to help resolve Iraq ex...
Non-resident persons have the right to obtain reimbursement for up to 11/26 of the withholding effected, upon proof of the actual taxation of the dividends in the foreign country where the recipient is a resident. Provided that all conditions are met, domestic tax legislation is applicable if ...
The Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (the MLI) was ratified and entered into force for Singapore on 1 April 2019. Amendments made by the MLI to these treaties have taken effect....
The treaty does not limit the taxation of certain profit-based interest income, which is deducted by the debtor from their tax base; consequently, the domestic rate (plus solidarity surcharge) applies. The USSR treaty continues in force with Moldova. ...