Tax law amendments enhance Cyprus corporate and personal tax competitiveness Other amendments

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Tax Insights from Services Tax law amendments enhance Cyprus corporate and personal tax competitiveness Other amendments Issue N-4-2015, July 17, 2015 In brief On July 16, 2015 a number of amendments to the Cyprus corporate and personal tax laws were published in the Cyprus Government Gazette. The main amendments are analysed in our Newsletter N-3-2015, July 17, 2015. The remaining amendments which are analysed in this Newsletter include: taxability of widowers pension under general tax rules which may reduce the tax cost for individuals Capital Gains Tax an exemption from future capital gains tax for properties (land and land with buildings) purchased by the end of 2016 Special Contribution for Defence imposition of special contribution for defence on dividends declared to a company where the interposition of the company in the structure aims at avoiding/minimising the tax cost Land and Surveys Land transfer fees Further we understand that bills in relation to a number of additional tax amendments have been sent to Parliament. We expect Parliament to consider these additional proposals in September following the summer recess. The main proposals tο be considered in September are analysed in our Newsletter N-3-2015, July 17, 2015. The remaining proposals which are analysed in this Newsletter include: extension of the definition of the term «Republic» so that any business activities relating to Cyprus natural resources carried out within Cyprus s exclusive economic zone and continental shelf are subject to income tax clarification that 80% of losses resulting from the leasing or sale of intellectual property registered in Cyprus, is not deductible for tax purposes extension of the accelerated tax depreciation available on industrial buildings and hotels (7%) and plant & machinery (20%) until the end of 2016 the modernisation of the tax framework regarding group relief provisions the introduction of a fee for the issuance of tax rulings extension of the list of companies included in Appendix I Capital Gains Tax determination of cost in the case of sale of separated plots www.pwc.com.cy

In detail Enacted laws Taxability of widowers pension As per the previous law such income was subject to income tax as per special rules (i.e. for income up to 19.500 the rate was 0% and for income exceeding 19.500 the rate was 20%). The amendment gives the option to the taxpayer to either continue being taxed under the special rules as above or be taxed under the general rules (i.e. widowers income will be included in the total taxable income net of allowable deductions). from tax year 2014 onwards. The option to be taxed under general rules could potentially reduce the tax cost of individuals. Capital Gains Tax Exemption from future capital gains tax for properties (land and land with buildings) purchased by the end of 2016 Land and land with buildings acquired at market value (excluding exchanges and donations) from unrelated parties from the effective date of the amendment (which is the date of its publication in the official gazette of July 16, 2015) until 31 December 2016 will be exempt from Capital Gains Tax upon future disposal. The above exemption will not apply in case the above properties are acquired under foreclosure procedures based on the new foreclosure law. This proposal aims to enhance investment in the Cyprus real estate market. Special Contribution for Defence Imposition of special contribution for defence on dividends declared to a Cyprus company As per enacted laws analysed in our Newsletter N-3-2015, only individuals who are both Cyprus tax residents and Cyprus domiciled will be subject to the special contribution for defence. The amendment provides that in case of dividend payment to a Cyprus company which is not 100% directly owned by a Cyprus tax resident individual and in the Commissioner s judgement the interposition of the Cyprus company receiving the dividend does not serve a real commercial/economic purpose but the aim is to avoid, reduce or postpone the imposition of special defence contribution, the Commissioner may deem that the dividend was paid to the Cyprus tax resident individual who directly/indirectly controls the Cyprus company receiving the dividend and demand the payment of special defence contribution on the dividend. The amendment is antiavoidance measure for deemed dividend distribution purposes. Land and Surveys Land transfer fees Based on the previous law, the following applied for contracts relating to immovable property that were signed and submitted to the Land Registry between the period 2 December 2011 31 December 2016 irrespective of the transfer date of the immovable property: (a) no transfer fees applied if the same transaction was subject to VAT and (b) transfer fees were reduced by 50% on the condition that the immovable property (plots, buildings or part thereof) was sold for the first time following the issue of the relevant planning or building permit. Based on the amendment: (a) no transfer fees apply if the same transaction is subject to VAT and (b) transfer fees are reduced by 50% for any immovable property on the condition that: (i) the transfer takes place by 31 December 2016 irrespective of the date of the signing of the contract or its submission to the Land Registry, or (ii) the contract was signed and submitted to the Land Registry between the period 2 December 2011 31 December

2016 irrespective of the transfer date. The 50% reduction in transfer fees will not apply in case the transfer involves immovable property acquired under foreclosure procedures based on the new foreclosure law. This proposal aims to enhance investment in the Cyprus real estate market. Amendments expected to be considered by Parliament in September Definition of the term «Republic» The definition is extended to include explicitly amongst others the exclusive economic zone (EEZ) of Cyprus and its continental shelf and any constructions or plants located in these zones. effective from 1 January 2015. By extending the definition, business activities relating to Cyprus natural resources carried out within the above zones will be subject to income tax. Intellectual Property (IP) Regime Currently only 20% of profits from leasing or sale of intellectual property owned by Cyprus tax resident companies (after the deduction of direct expenses) are subject to income tax. With this proposal, it is clarified that in the case of a loss (after the deduction of direct expenses), 80% of this loss will not be tax deductible. When the company claims notional interest deduction (NID) on new capital introduced based on the new enacted article 9B or claims a deemed deduction based on the revised article 33 (related party transactions) which is expected to be discussed in September, both these deductions will be considered as a direct expense and consequently 80% will be nondeductible. The IP regime is becoming more attractive since NID and other deemed deductions can be included in the calculation of the taxable profit/loss. Extension of the accelerated tax depreciation available on industrial buildings, hotels and plant & machinery acquired until the end of 2016 Plant and machinery purchased in 2012-2014 benefited from 20% per annum tax depreciation. Industrial buildings and hotels purchased in 2012-2014 benefited from 7% per annum tax depreciation. The proposal extends the period for which accelerated depreciation is available to purchases made in 2015-2016. The proposal is aimed to encourage business investment in qualifying fixed assets. Group relief provisions In order to harmonise and align the tax framework with European Court of Justice judgments, a Cyprus tax resident company can include in the calculation of its taxable profits, tax losses (as computed under Cyprus tax law) of a company which is a tax resident of another EU country as long as both companies are part of the same group according to Cyprus group relief provisions. As per the amendment, the surrendering EU company must first exhaust all possibilities available to utilise the losses in its country of residence or in the country of any intermediary EU holding company. In addition, in order to establish whether two Cyprus tax resident companies are part of the same tax group, the interposition of a non-cyprus tax resident company will not affect the eligibility for group relief as long as the interposed non-cyprus tax resident company is tax resident: (a) in a EU country or (b) in any other country with which Cyprus has signed a Double Tax Treaty or an Exchange of Information Agreement effective from 1 January 2015. The above amendment will increase the scope for application of group relief in Cyprus. Fee for issuance of tax rulings The fee will be set by the cabinet of ministers. It is expected that this measure will expedite the issuance of rulings by the Tax Authorities.

Extension of the list of companies included in Appendix I The list is extended to include the below companies for which the European Council Directives apply: As per Bulgarian събирателното дружество, командитното дружество, дружеството с ограничена отговорност, акционерното дружество, командитното дружество с акции, неперсонифицирано дружество, кооперации, кооперативни съюзи държавни предприятия which have been established as per Bulgarian and are of a commercial nature. As per Romanian societăţi pe acţiuni, societăţi în comandită pe acţiuni, societăţi cu răspundere limitată, societate in comandita simpla, societate in nume colectiv. effective from 1 January 2007 (i.e. from the date on which Bulgaria and Romania joined the EU) Inter alia this amendment means that participation in these companies qualifies for the titles exemption, i.e. there will be no tax in Cyprus upon disposal (unless the companies hold Cyprus located immovable property). Capital Gains Tax Plots separation Based on current law, in the case of immovable property acquired prior to 1.1.80, which was separated into plots without new titles being issued, and one of the plots is then sold, the value of the sold plot as at 1.1.80 will be deemed to be the market value allocable to the plot just prior to the separation of the immovable property, i.e. no capital gains tax is levied on the increase in value from the date of acquisition of the immovable property until the separation into individual plots. Based on the amendment, the issuance or not of new titles following the separation into individual plots does not affect the above. effective from the date of its publication in the Official Gazette of the Republic. The current incentive provided to immovable property owners for plots separation is further enhanced by this removal of the non-issuance of title deeds condition. Accordingly, irrespective of whether or not title deeds are issued, taxpayers who satisfy the other conditions may benefit. The takeaway The amendments voted and published in the Cyprus Government Gazette as well as the proposals expected to be discussed in September aim to make the Cyprus tax system even fairer and even more competitive and should ultimately contribute positively to the local economy.

Let s talk For an in-depth discussion of how these proposals might affect you or your business, please contact: Theo C Parperis Head of Tax & Legal theo.parperis@cy.pwc.com Marios S Andreou In charge of marios.andreou@cy.pwc.com Nicos P Chimarides In charge of Corporate Compliance nicos.chimarides@cy.pwc.com Eftychios G Eftychiou eftychios.eftychiou@cy.pwc.com Antonis C Christodoulides antonis.christodoulides@cy.pwc.com Chrysilios K Pelekanos In charge of Indirect Tax chrysilios.pelekanos@cy.pwc.com Christos S Charalambides christos.charalambides@cy.pwc.com Charalambos A Sergiou Director charalambos.sergiou@cy.pwc.com Or your usual contact Cyprus Julia House 3 Themistocles Dervis Street CY-1066 Nicosia, Cyprus P O Box 21612 CY-1591 Nicosia, Cyprus www.pwc.com.cy This content is for general information purposes only, and should not be used as a substitute for consultation with professional advisors. 2015 PricewaterhouseCoopers Ltd. All rights reserved. refers to the Cyprus member firm, and may sometimes refer to the network. Each member firm is a separate legal entity. Please see www.pwc.com/structure for further details.