Summary on Cyprus Employment Taxes

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www.pwc.com.cy Summary on Cyprus Employment Taxes August 2018

Current General Information Employee salaried and other incomes Employees tax resident in Cyprus are taxed on their chargeable worldwide incomes. Employees not tax resident in Cyprus are only taxed on certain incomes accruing or deriving from sources in Cyprus. Individuals are considered tax resident in Cyprus if they reside in Cyprus for more than 183 days in the tax year. The tax year coincides with the calendar year. A second tax residency test, the 60 day rule, has also been introduced effective as from 1 January 2017 and therefore applies from tax year 2017 onwards. The 60 day rule applies to individuals who in the relevant tax year: i) do not reside in any other single state for a period exceeding 183 days in aggregate, and ii) iii) iv) are not tax resident in any other state, and reside in Cyprus for at least 60 days, and have other defined Cyprus ties. An employee is in general not taxed on reimbursements for actual business travel and entertainment expenses incurred. However, reimbursements for travel between home and work as well as other benefits in kind may be taxable. Pensions received from abroad up to 3.420 are exempt. Any excess over 3.420 is taxed separately at a flat rate of 5%. Alternatively, individuals have the option to add pensions received from abroad to their other Cyprus taxable income to be taxed at the normal rates and bands, and thus take advantage of the taxfree scale band of 19.500. This is an option which may be made year-on-year. Cyprus sourced widow(er) s pension is taxed at the flat rate of 20% on s over 19.500. The individual can however, on an annual basis, elect to be taxed at the normal rates and bands set out below. Gross rental income, less a deemed deduction of 20% (in lieu of actual repairs and related expenses) and a deduction for capital allowances and interest expense for the acquisition of the property, is subject to income tax at the normal rates and bands. Rental income is also subject to Special Defence Contribution (see provisions under Other Taxes ). Interest income (except for interest arising from ordinary trading/ business activities), dividend income and profit on disposal of qualifying titles are not subject to income tax, but see provisions under Other Taxes for interest and dividend income. Payment of income tax Individuals may be categorised as follows: 1. Taxpayers whose income derives solely from salaries and/or pensions 2. Taxpayers who earn income from trading, rentals, dividends, interest, royalties or trading goodwill, either in addition to salaries/ pensions or as their sole income, with: a) annual turnover from such income not exceeding 70.000 b) annual turnover from such income exceeding 70.000 In respect of individuals in category (1), income tax is withheld from salaries by the employer under the pay-as-you-earn system (PAYE). For category (1) individuals earning pension income not subjected to PAYE, payments of estimated tax must be made in two equal instalments on 31 July and 31 December in the tax year. Any balance of tax due should be paid by 31 July of the following tax year. Individuals under category (1) need to submit an electronic income tax return by 31 July of the following tax year. Individuals under category (2) need to issue invoices and receipts in respect of their trading income. Payments of estimated tax must be made in two equal instalments on 31 July and 31 December in the tax year. Individuals under category 2 (a) are required to keep proper books and records and prepare accounts which however need not be audited. Any balance of tax due should be paid by 30 June of the following tax year. An electronic income tax return should be submitted by 30 September of the following tax year. Individuals under category 2 (b) need to prepare audited accounts. Any balance of tax due should be paid by 1 August of the following tax year. An electronic income tax return should be submitted by 31 March of the second following tax year. In respect of all individuals, income tax returns need to be submitted only if their gross income exceeds the tax-free band (see table below). Foreign tax suffered on foreign sourced income subject to income tax in Cyprus is generally available as a credit against an individual s Cyprus income tax. Such credit cannot exceed the of Cyprus income tax imposed on that same income. Note: All deadlines referred to above may be extended on a year by year basis upon the discretion of the Tax Authority.

Exemptions and Deductions Exemptions The following are exempt from income tax: Type of income Interest, except for interest arising from the ordinary business activities or closely related to the ordinary business activities of an individual Exemption (1) Work-related deductions In general, any work-related expenses (including contributions to trade unions and other professional bodies) are deductible, unless reimbursed by the employer. Travelling expenses between home and work are not deductible. Other deductions Charitable donations to approved charities are deductible. Dividends (1) The special contribution part paid by the employee is deductible (relevant to the tax years 2012 2016. See section above). Remuneration from any employment exercised in Cyprus by an individual who was not a resident of Cyprus before the commencement of the employment, exemption applies for a period of 10 years for employments commencing as from 1 January 2012 provided that the annual remuneration exceeds 100.000. For employments commencing as from 1 January 2015 the exemption does not apply in case the said individual was a Cyprus tax resident for 3 (or more) tax years out of the 5 tax years immediately prior to the tax year of commencement of the employment nor in the preceding tax year. In certain cases it is possible to claim the exemption where income falls below 100.000 per annum. Remuneration from any employment exercised in Cyprus by an individual who was not a resident of Cyprus before the commencement of the employment. For employments commencing during or after 2012 the exemption applies for a period of 5 years starting from the tax year following the year of commencement of the employment with the last eligible tax year being 2020. This exemption may not be claimed in addition to the immediately above mentioned 50% exemption for employment income. Remuneration from salaried services rendered outside Cyprus for more than 90 days in a tax year to a non-cyprus resident employer or to a foreign permanent establishment of a Cyprus resident employer Lump sum received by way of retiring gratuity, commutation of pension or compensation for death or injuries Capital sums accruing to individuals from any payments to approved funds (e.g. provident funds) Profits (capital or trading) from the sale of qualifying titles (i.e. shares, bonds, debentures etc) 50% of the remuneration 20% of the remuneration with a maximum of 8.550 annually Also deductible, subject to a limit of 1/6 of the individual s chargeable income is: the total of life insurance premiums (the allowable annual life insurance premium is restricted to 7% of the life insured ) employee social insurance contributions pension fund contributions and provident fund contributions (the allowable deduction for pension and provident fund contribution is restricted to 10% of the individual s remuneration) employee medical fund contributions (the allowable medical fund contributions is restricted to 1,5% of the individual s remuneration). As from 1 January 2017, s invested each year (either directly or indirectly) in approved innovative small and medium sized enterprises may be claimed as tax deductible. The deduction is capped up to 50% of the taxable income calculated prior to claiming this deduction (subject to a maximum of 150.000 per year). Unused deduction can be carried forward and claimed in the following 5 years, subject to the caps noted above. Tax credits Either through double taxation treaties or Cyprus unilateral relief, residents with foreign-sourced income are entitled to a credit for foreign taxes. Such credit cannot however exceed the of Cyprus tax imposed on that same income. Notes: 1. Such dividend and interest income may be subject to Special Contribution for Defence - refer to Other Taxes section.

Current Income Tax Rates Chargeable Income for the Tax Year - Limits ( ) Rate (%) Tax ( ) Cumulative Tax ( ) 0 19.500 0 0 0 19.501-28.000 20 1.700 1.700 28.001-36.300 25 2.075 3.775 36.301-60.000 30 7.110 10.885 60.001+ 35 Social Insurance Related Contributions Employer's Redundancy Fund Contribution 54.396 1.2 653 Employer s Social Insurance Contribution 54.396 7.8 4.243 Employer s Industrial Training Fund Contribution 54.396 0.5 272 Employer s Social Cohesion Fund Contribution N/A 2.0 N/A Employee s Social Insurance Contribution 54.396 7.8 4.243 Employers may also be required to make contributions to the Holiday Fund, if they do not apply and be approved for exemption. From 1 January 2019, Employer s and Employee s contributions to the Social Insurance Fund will increase from 7,8% to 8,3%. Cyprus National Health System Contributions (effective from 2019) As per the recent legislation governing, amongst others, the level of contributions to the Republic s National Health System (N.74 (I) 2017), it is provided that Cyprus nationals as well as other qualifying employees and their employers should contribute to the National Health System, as noted below: Category Phase A Phase B 01/03/2019-28/02/2020 01/03/2020 - onwards Employees 1.70% 2.65% Employers 1.85% 2.90% Contributions are to be applied to a maximum level of taxable income (including dividends) of 180.000 per annum.

Other Taxes Special Defence Contribution Up to 15 July 2015, individuals were subject to Special Defence Contribution if they were tax resident in Cyprus. As from 16 July 2015, individuals are subject to Special Defence Contribution if they are both Cyprus tax resident and Cyprus domiciled. An individual is domiciled in Cyprus for the purposes of Special Contribution for Defence if (s)he has a domicile in Cyprus as per the Wills and Succession Law (with certain exceptions) or if (s) he has been a tax resident in Cyprus for at least 17 out of the 20 tax years immediately prior to the tax year of assessment. Antiavoidance provisions apply. Dividend income whether from Cyprus or abroad, is subject to Special Defence Contribution at 17%. Gross rental income, reduced by 25%, is subject to Special Defence Contribution at 3%, with no other deductions allowed. Rental income is also subject to income tax (see provisions under Current General Information ). Taxation suffered abroad on income subject to Special Defence Contribution in Cyprus is available as a credit in Cyprus against the defence contribution liability. Such credit cannot exceed the of Cyprus Special Defence Contribution imposed on that same income. If the Cyprus Special Defence Contribution due on rental income has not been withheld at source by the payer, the individual recipient must pay the tax due on such income earned in the first six months by 30 June and on such income earned in the second six months of the tax year by 31 December of that tax year. Interest income (except for interest arising from the ordinary trading/business activities) whether from Cyprus or abroad is subject to Special Defence Contribution at 30%. If an individual s total income in a year including interest, does not exceed 12,000, the rate is reduced to 3%. Interest from Cyprus government saving bonds and development bonds is taxed at 3%.

Current Family Allowances The following social grants are given: All families resident in Cyprus fulfilling the provisions of the Law, are entitled to a basic and additional child grant, subject to gross family income and wealth criteria. For every child receiving full time higher education in Cyprus or full time university education outside Cyprus (with certain restrictions). Families with more than three children receive additional grant. For blind persons. The actual s of social grants are revised annually and announced at the beginning of each year. Contacts Marios S Andreou Partner In charge of Tax Advisory marios.andreou@pwc.com Joanne Theodorides Director Tax Advisory joanne.theodorides@pwc.com Stelios Violaris Partner Tax Advisory stelios.violaris@pwc.com Michalis S Stavrides Director Tax Reporting Strategy michalis.stavrides@pwc.com PricewaterhouseCoopers Ltd PwC Central, 43 Demostheni Severi Avenue, CY-1080 Nicosia, Cyprus P O Box 21612, CY-1591 Nicosia, Cyprus Tel:+357-22555 000, Fax:+357-22555 001 City House, 6 Karaiskakis Street, CY-3032 Limassol, Cyprus P O Box 53034, CY-3300 Limassol, Cyprus Tel. +357-25 555 000, Fax +357-25 555 001 This content is for general information purposes only, and should not be used as a substitute for consultation with professional advisors. 2018 PricewaterhouseCoopers Ltd. All rights reserved. PwC refers to the Cyprus member firm, and may sometimes refer to the PwC network. Each member firm is a separate legal entity. Please see www.pwc.com/structure for further details.