The Government of Ukraine proposes the Parliament to ratify the Protocol on
amendments to the Convention between the governments of Ukraine and Cyprus to
avoid double taxation and prevent fiscal evasion with respect to income tax.
The Government’s decision on this proposal was adopted on March 30.
The Ministry of Finance is actively working on increasing revenues to the
state budget of Ukraine by expanding the tax base while reducing the fiscal
pressure on tax payers. With this purpose, the Ministry of Finance is taking
active steps to deshadow the economy and prevent capital drain to offshores.
In accordance with its policy, the Ministry of Finance and the Government
of Cyprus agreed amendments to the Convention which are in line with OECD
recommendations.
The amendments include:
- changes on the taxation of property sale. Income received by
residents of Cyprus from the sale of shares and other corporate rights won’t be
exempt from taxation in Ukraine, if more than 50% of the value of these
corporate rights are directly or indirectly linked with immovable property
located in Ukraine (now this income is not subject to taxation, though it can
be linked with immovable property in Ukraine, which is normally should be
taxed);
- changes in the dividends taxation. The key condition for
applying the 5% tax rate on dividends is – one has to be an actual owner of 20%
of the company who pays out dividends and invested at least €100.000 to
purchase shares or other company rights (presently, only one of these
conditions must be met to claim the 5% tax rate). In all other cases the 10%
tax rate shall be applied;
- the tax rate for dividends is set at 5% (was – 2%).
The new taxation regulations will come into force not earlier than January
1, 2019, according to Art. 27 of the Convention.
Key facts on the standard conventions of the OECD:
- the pattern convention of the OECD on income and capital taxation is a
standard agreement on the avoidance of double taxation in regard to the
residents of one or two countries concluding this agreement and is recommended
for use by all member states of the OECD;
- though Ukraine is not a member of the OECD, in February 2013 the Cabinet
of Ministers adopted an action plan to deepen cooperation between Ukraine and
the OECD in the period from 2013 till 2016; the Memorandum of understanding
between the Government of Ukraine and the OECD on deepening mutual cooperation
was concluded on July 2, 2014;
- due to the examination of the valid international treaties on the
avoidance of double taxation, a single approach was elaborated in regard to the
revision and preparation of draft treaties with the aim to adjust them to the
Pattern OECD Convention.
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