COUNTRY. Doing Business in. Uruguay

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Transcription:

COUNTRY Doing Business in Uruguay

Preface This guide has been prepared by Baker Tilly Uruguay, an independent member of Baker Tilly International. It is designed to provide information on a number of subjects important to those considering investing or doing business in Uruguay. Baker Tilly International is the world s 8th largest accountancy and business advisory network by combined fee income, and is represented by 150 firms in 120 countries and over 25,000 personnel worldwide. Its member firms are high quality, independent accountancy and business advisory firms, allofwhomarecommittedtoprovidingthe best possible service to their clients, both in their own marketplace and across the world. This guide is one of a series of country profiles compiled for use by Baker Tilly International member firms clients and professional staff. Copies may be downloaded from www.bakertillyinternational.com. Doing Business in Uruguay has been designed for the information of readers. Whilst every effort has been made to ensure accuracy, information contained in this guide may not be comprehensive and recipients should not act upon it without seeking professional advice. Facts and figures as presented are correct at the time of writing. Up-to-date advice and general assistance on Uruguay matters can be obtained from Baker Tilly Uruguay; contact details can be found at the end of this guide. October 2011 Baker Tilly International Doing Business in Uruguay 1

Contents Page 1 Fact Sheet 4 2 Business Entities and Accounting 6 2.1 Types of Companies and Partnerships 6 2.2 Branches 8 2.3 Trusts 8 2.4 Accounting 8 2.5 Audit 9 3 Finance and Investment 10 3.1 Exchange and Monetary Control 10 3.2 Bank Services 10 3.3 Sources of Finance 10 3.4 Investor Protection 10 3.5 Investment Incentives 11 3.6 Import and Export Procedures 11 4 Employment Regulations and Social Security 13 4.1 Work Permits 13 4.2 Work Conditions 13 4.3 Contributions to Social Security 13 2 Baker Tilly International Doing Business in Uruguay

Page 5 Taxation 15 5.1 General Concepts 15 5.2 Corporation Taxes 15 5.3 Taxation on Individuals 18 5.4 Indirect Taxes 18 5.5 Other Taxes 19 Baker Tilly International Doing Business in Uruguay 3

1 Fact Sheet Geography Location Area Land boundaries Climate Terrain Southern South America 176,000km² Argentina and Brazil Warm temperate Mostly rolling plains and low hills crossed by long rivers Time zone GMT -3 People Population Religion Language 3.2 million, 1.3 million of whom reside in Montevideo The majority of the population is Catholic Spanish Government Country name Government type Capital Administrative divisions Political situation Uruguay Democratic Republic with a presidential system Montevideo 19 departments The State is organised into three independent powers - executive, legislative and judicial. The executive power is exercised by the President and 13 ministers. Legislative power rests with the National Assembly or Parliament, which consists of two chambers, namely the Senate, consisting of 30 members and chaired by the country s vice-president, and the Chamber of Deputies, consisting of 99 members representing the 19 departments. The legal system is based on legal regulations approved by parliament and promulgated by the President 4 Baker Tilly International Doing Business in Uruguay

Economy GDP Per capita GDP Real growth rate Labour force Unemployment Currency (code) US$13,600 (2010 est.) 7.1% (2010 est.) 1.13 million (2000 est.) 6.1% (2010 est.) Uruguayan peso ($U) Baker Tilly International Doing Business in Uruguay 5

2 Business Entities and Accounting 2.1 Types of Companies and Partnerships All types of company and partnership are governed by Law 16,060 of 1990. The most common business entities are companies limited by shares and partnerships. 2.1.1 Corporations: companies limited by shares (sociedad anónima) (SAUs) SAUs are established by a private document in which the founders signatures are certified by a public notary. At least two founders (whether individuals or legal persons, national or foreign) must appear before the notary but the documents do not need to be executed by the investor so their complete anonymity is, therefore, assured. A corporation s objectives may be wide ranging; they are entitled to carry out activities within the national territory or abroad. Directors may be Uruguayan or foreigners, resident or non-resident, individuals or legal persons. The board of directors must have a minimum of one and a maximum of seven members. Companies may be either open, which means that they are listed on the Uruguayan stock market, or closed. For both types of company at least one quarter of the capital must be paid up; there are no minimum capital requirements nor are there restrictions on the number of shareholders. Shares may be issued in bearer or registered certificates, in which case they can be with or without endorsement. The advantage of bearer shares is that the holder may preserve their anonymity 2.1.2 Partnerships Partnerships may be: General partnerships Limited partnerships Capital and industry partnerships, in which some partners put in money while others render services. 6 Baker Tilly International Doing Business in Uruguay

2.1.3 Other business entities These include: Joint ventures (temporary associations for commercial purposes without incorporation or partnership) Co-operative associations Economic interest groups (GIE). Laws and regulations specify that certain activities (such as financial activities requiring authorisation by the Uruguayan Central Bank) must be carried on by a particular type of entity. 2.1.4 Free trade zone corporations Free trade zone corporations are created with the specific objective of carrying on business within free trade zones. Free trade zones have been promoted and developed with the purpose of boosting investment, exports, employment and international economic integration. Corporations operating within free trade zones are exempt from all taxes created or to be created pursuant to Law 15,921 (Act of Free Trade Zones). A wide variety of operations may be conducted within free trade zones; the most common include: Manufacturing Treasury functions (treasury centres), such as group lending, hedging and pooling activities Shared service centres where internal functions such as accounting systems, financial control services, invoicing, procurement of products and services, human resources support and other administrative and clerical backroom type functions Service and call centres Internet-related activities such as e-commerce, portals, incubators and software houses Assembly or manufacturing plants to centralise production Storage and warehousing facilities to deliver products to affiliates and, in many cases, defer the payments of custom duties in the countries where those affiliates are located. Baker Tilly International Doing Business in Uruguay 7

2.1.5 Sole proprietors Services may be provided in Uruguay by non-residents without setting up a company and without registering with the authorities: if the non-resident does not invoice any Uruguayan company no income taxes will arise, otherwise a 12% withholding tax will apply. In order to be treated as a non-resident, the individual must not be present in Uruguay for more than 183 days in the year. If the individual is present for more than 183 days they will be treated as fiscal resident in Uruguay and must register and pay taxes. 2.2 Branches Branches of companies incorporated abroad are regulated by the law of the State in which they are constituted, unless such laws contravene the Uruguayan International Public Order. For fiscal purposes, local branches of foreign corporations are treated in the same way as Uruguayan companies. The branch must have an address in Uruguay. Foreign companies are allowed to: Perform isolated acts evidencing their existence and appear in court, for example, they are allowed to have a bank account or to own real estate Establish branches or other permanent establishments in order to perform their corporate objectives. 2.3 Trusts Uruguayan trusts are arrangements in which an individual or company (the settlor) gives fiduciary control of property to a person or institution (the trustee) for the benefit of beneficiaries. Trusts may be established inter vivos or by will. Financial trusts are subject to special regulations. Uruguayan trusts are treated as companies for tax purposes. 2.4 Accounting Financial statements must be prepared within four months of the fiscal year-end. The fiscal year is generally one year and the year-end date is fixed by the company s 8 Baker Tilly International Doing Business in Uruguay

management. The first period of trading is typically shorter and the year end may be changed. Financial statements must be prepared in accordance with the appropriate accounting standards issued by the Accountants and Economists Uruguayan Association; these are closely aligned with International Financial Reporting Standards. 2.5 Audit The requirements for audit in Uruguay derive from law and the official auditing pronouncement of the Accountants and Economists Uruguayan Association. The presentation of financial statements audited by independent professionals (there is no requirement for the auditor to be registered or authorised unless the financial statements are those of a bank or other financial institution) is compulsory for certain companies including those having significant liabilities with banks regulated by the Uruguayan Central Bank and those operating within a free trade zone, depending on the level of assets or sales. Baker Tilly International Doing Business in Uruguay 9

3 Finance and Investment 3.1 Exchange and Monetary Control Besides the national currency, all foreign currencies have legal circulation. The exchange rates between local and foreign currencies are set by the market. Foreign currencies, precious metals, commodities and securities may be bought and sold freely. There are no restrictions on the transfer of profits or the repatriation of capital. State authorisation is not necessary. 3.2 Bank Services The Uruguayan Central Bank has wide ranging responsibilities for price stability, regulation of the financial sector and supervision of the financial system. Subsidiaries of Latin American, US and European banks are present in Uruguay; in particular, many Latin American banks have their operational headquarters in the country. The country has been assigned the status qualified jurisdiction by the US. National bank legislation does not usually distinguish between national and foreign banks - they are subject to the same regulations and controlled by the Uruguayan Central Bank. 3.3 Sources of Finance Loans may be secured or unsecured and are typically provided by local banks. Companies are able to raise funds from the public via the stock market 3.4 Investor Protection Foreign investment plays a key role in the development of the economy. In order to promote foreign investment, no special permission is required to commence operations such as importing and exporting, raising loans, or participating in the exchange market. 10 Baker Tilly International Doing Business in Uruguay

3.5 Investment Incentives Incentives currently in force aim to create employment, introduce high technology industries and increase exports. The incentives are either based on established schemes or may be promoted by specific governmental order. Incentives may be generous, providing tax relief of up to 90% of the value of the investment, and may be accessed by foreign and domestic investors. Tax incentives on investments within the national territory are described at 5.2.4. 3.6 Import and Export Procedures Uruguay has a free and open economy; there are no restrictions on imports or exports. Selected custom duties regimes are available: Ordinary importation regime: this applies to all goods that will remain permanently in Uruguayan territory. There is no restriction on either the use of the goods or their origin. Full payment of customs duties and import VAT is required. Temporary importation regime: imports of consumables for the export industry may be subject to the temporary admission regime which permits imports without custom duties, provided that the imported goods are to be used directly in the production of the item to be exported. To qualify for this regime, one of the following conditions must be fulfilled: The product to be imported does not exist in the local market The product to be imported exists in the local market but the import price is significantly cheaper The product to be imported exists in the local market at a reasonable price but the production process takes longer than if the product is imported. Prior authorisation is required and the final products must be exported within 18 months. Under this regime, manufacturing companies may import, without duties: raw materials; parts; engines; containers and packing materials; moulds; casts and models; intermediate products; cattle and farming products and products; and other consumables to be used in the production of the item to be exported. Baker Tilly International Doing Business in Uruguay 11

Drawback regime: the drawbawback regime allows the reclaim of import duties paid in respect of items used or consumed in an industrial process during the production of goods for export. Exports regime: in general exports are exempt from VAT. There is also a regime by which an exporter may reclaim internal duties (indirect taxes) incurred during the production of goods to be exported. The amount available to be reclaimed is determined as a percentage of its free on board (FOB) value, set by the Executive Power. Free trade zones: please refer to 2.1.4. 12 Baker Tilly International Doing Business in Uruguay

4 Employment Regulations and Social Security 4.1 Work Permits In principle, minors under 15 years old may not work in any establishment. However, the Minor National Institute may grant special authorisation in certain cases. Salary and rest days are agreed according to age. Non-residents require a work permit, issued by the Immigration Authorities, to work in Uruguay for a Uruguayan company. The minimum term of the permit is six months. For self-employed individuals, see 2.1.5. 4.2 Work Conditions Working hours are restricted to eight hours a day and a total of 48 hours per week (44 hours per week for office workers). 4.3. Contributions to Social Security The social security system covers disability, old age, retirement, disease, industrial accident, unemployment and death. Affiliation to the system is compulsory, except for foreign workers within the free trade zones. 4.3.1 Retirement contributions The Social Security Bank (BPS) is the public body responsible for collecting social security contributions in respect of retirement benefits made by companies and employees, and for keeping up-to-date records of the labour history for each member. Both employers and employees must make monthly contributions: employee contributions are deducted from gross pay and the employer pays the total to the BPS. Employers pay the equivalent of 7.5% of gross payments to all employees. Employees pay 15% of their gross salary. Self employed individuals make contributions depending on the nature of their business activities. Baker Tilly International Doing Business in Uruguay 13

4.3.2 Health contributions Employers must make payments of 5% and employees 3% of gross pay. It is the responsibility of the employer to withhold contributions and pay them monthly. Employees are also required to make contributions to FONASA, the National Health Fund, for children s medical assistance. Those without children pay an additional 1.5% of gross pay and those with children pay 3%. The rate of additional contribution increases to 5% for those with three or more children if their partner does not contribute to FONASA in their own right. The contributions made by self employed individuals depend on the nature of their business activities. 4.3.3 Other contributions There is an additional contribution - Fondo de Reconversion Laboral (FRL). The FRL is responsible for creating jobs for the unemployed. Employers and employees must make payments of 0.125% of the gross salary. Self employed individuals are also required to contribute. 14 Baker Tilly International Doing Business in Uruguay

5 Taxation 5.1 General Concepts When defining tax, the concept of territorial source is applied to both individuals and legal entities. Income resulting from activities performed, assets situated, or rights economically used within the Republic are considered as deriving from a Uruguayan source regardless of the nationality, domicile, or residence of those taking part in the transaction or the jurisdiction in which the transaction legally takes place. The same concept is applicable to net-worth tax, which is levied on assets situated within the limits of the Republic. Individuals who are Uruguayan fiscal residents (those present in Uruguay for more than 183 days in the fiscal year) are taxed on income generated from movable capital (deposits, loans and other capital) located abroad (passive income), abandoning partially the concept of territorial source. Uruguay has double taxation treaties with Mexico,Spain,GermanyandHungary. 5.2 Corporation Taxes 5.2.1 Corporate income taxe Tax is levied on profit or net income (including capital gains) of any economic activity of any nature (economic activities income tax - IRAE). The taxable amount is arrived at by adjusting accounting profit to take account of tax legislation which deals, for example, with the deduction of certain expenses. The income tax rate is 25% and is imposed on income from industrial or commercial activities of Uruguayan source, as well as on income from farms and properties. Income taxpayers are defined as all types of legal entities (including trusts) and business enterprise owners that carry out taxable activities. Payers of income tax must make advance payments (based on the previous year s income) on a monthly basis and pay the balance of these tax liabilities when completing their annual returns. The balancing payment and the annual tax return are due within four months of the end of the fiscal year. Baker Tilly International Doing Business in Uruguay 15

Tax losses may be carried forward and deducted as an expense from gross taxable income in the following five financial years. No carry-back is allowed. Tax losses cannot be transferred to other taxpayers except in the case of reorganisations (for example, in mergers, tax losses are transferable to the new or surviving entity). Free Trade Zone companies are exempted from all national taxes including income tax. 5.2.2 Net-worth tax This is a national level tax assessed at a flat rate of 1.5% per year. This tax rate is applied to the excess of all assets located in Uruguay over deductible fiscal liabilities, as defined in statute. Individuals are also liable for this tax (section 5.3). Assets located abroad are not taxable. Tax must be paid within 120 days of the balance sheet date; monthly payments, totalling the tax paid in the last fiscal year plus 11%, must be made. 5.2.3 Cross-border payments Withholding taxes apply to payments abroad as follows: Dividends: dividends paid abroad are subject to a tax deduction of 7%. Dividends paid to companies and individuals situated abroad in respect of tax exempt income are not subject to withholding tax. Royalties: royalty payments are subject to 12% withholding tax. Services and technical assistance: payments for services and technical assistancea rendered non-resident companies and individuals are subject to withholding tax at a rate of 12%. Earnings of local branches to their parent companies: branches pay local income tax at 25%. A further 7% is withheld on remittance. Interest and leasing payments: withholding tax on interest and leasing payments ranges from 3% to 12% depending on the type of payment. Uruguayan companies are exempt from deducting withholding tax on loan interest payments if 90% or more of total of assets are used for generating tax exempt income. 16 Baker Tilly International Doing Business in Uruguay

5.2.4 Special Tax Incentives Investment law: this law grants two types of tax benefits: General benefits for investments: these benefits are applied generally and automatically to all payers of IRAE carrying out industrial, manufacturing, or extractive activities. The income tax act establishes a deductible allowance to all taxpayers at a maximum rate of 40% (the balance is not deductible) in respect of expenditure incurred during the year on: Machines and premises used for commercial and service activities (excluding financial activities and leasing of real properties) Farming machinery Fixed improvements in the farming sector Utility vehicles Real property used for equipping and re-equipping hotels, motels and tourist restaurants Capital assets for improving the services rendered to tourists Equipment for electronic data processing and communications Machines, premises and equipment for productive innovation and specialisation (for example any equipment used to purify the air or to improve the environment). Benefits for specific investments: These apply to projects promoted and approved by the government. Approval can be given to companies or to a specific economic sector. The main benefits are: Exemption from all types of taxes Exemption from a percentage of social security payments in respect of the portion of labour used on goods produced for exports Exemption from any tax payable on income Exemption from port duties and other charges or encumbrances on the import of industrial equipment. Furthermore, activities carried out by non-resident entities within bonded warehouses and free trade zones are tax exempt. Baker Tilly International Doing Business in Uruguay 17

5.3 Taxation on Individuals Tax returns are required to be completed by self employed individuals each calendar year. The date by which returns should be submitted is set by the tax authorities. Payments on account must be made every two months. Employees are generally not required to submit returns. 5.3.1 Income tax Individuals are taxed according to two categories of income: i) passive income or pure capital income; and ii) labour or personal services income. The territorial principle is maintained; income received from a non-uruguayan source is not taxed except in the case of Uruguayan fiscal residents receiving income generated from movable capital located abroad. The first category - pure capital income - includes lease income, interest, royalties and dividends. The applicable rate ranges from 3% to 7% depending on the nature of the investment. Further, Uruguayan fiscal residents pay income tax at 12% rate on income derived from movable capital located abroad. The second category - labour income - is taxed at progressive rates. A tax-free allowance is available for fiscal residents, the current tax-free allowance is $U14,427. The applicable rates range from 10% to 25%. Few deductions are allowed. Non fiscal residents are required to pay IRNR, a flat rate tax; the current rate is 12%. There is also a net-worth tax levied on assets of individuals. 5.4 Indirect Taxes Value added tax (VAT) is levied on the sale of goods and services rendered within Uruguay and the import of goods, regardless of the jurisdiction in which the contract was discharged or of the domicile, residence, or citizenship of the persons taking part in the transaction. The export of goods and services is not subject to VAT. VAT returns are required to be submitted monthly and liabilities must be paid within one month of the end of the month to which the VAT return relates. The basic rate is 22%; the reduced rate is 10%. The reduced rate is applicable to health services and staples such as fruit, bread, coffee etc. 18 Baker Tilly International Doing Business in Uruguay

5.5 Other Taxes Several local taxes are imposed in respect of real estate, cars and to fund public services. The rates, method of payment and due dates vary depending on the locality. There are no taxes on gifts or inheritances. There are no stamp duties charged on transfers of property and securities, although there is a tax, Impuesto a las Transmisiones Patrimoniales, which is charged on alienation of real estate at up to 3% for each party. Baker Tilly International Doing Business in Uruguay 19

Member Firm Contact Details Baker Tilly Uruguay Juncal 1305 - P 13 11000 Montevideo Uruguay T. +598 (2) 917 0045 F. +598 (2) 916 6907 E. btu@bakertillyuruguay.com.uy Contact: Gonzalo Hordeñana 20 Baker Tilly International Doing Business in Uruguay

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WorldHeadquarters 25 Farringdon Street London EC4A 4AB United Kingdom 2011 Baker Tilly International Limited, all rights reserved. Baker Tilly is a trademark of the UK firm, Baker Tilly UK Group LLP, used under licence 22 Baker Tilly International Doing Business in Uruguay T. +44 (0)20 3201 8800 F. +44 (0)20 3201 8801 E. info@bakertillyinternational.com www.bakertillyinternational.com