S.MICHAEL & CO. LLC

S.MICHAEL & CO. LLC

  • Home
  • About
  • Services
    • Banking & Finance
    • Corporate & Commercial Law
    • Immigration Law
      • Cyprus Investment program
      • Cyprus Citizenship By Years Of Residence
      • Permanent Residence Permit In Cyprus
      • Temporary Residence Permit
    • Fiduciary & Corporate Services
    • Intellectual Property
    • Litigation & Arbitration
    • Real Estate
    • Shipping & Admiralty
    • International Tax Planning
  • News
  • Contact Us
/ Cyprus / Cyprus – Russian Double Tax Treaty Update 26 December 2016

Cyprus – Russian Double Tax Treaty Update 26 December 2016

An agreement has been reached between Russian and Cypriot authorities to suspend the taxation of profits from the sale of shares of companies deriving more than 50% of their value from immovable property located in Russia.

On 29 December 2016 the Cyprus Ministry of Finance announced that an agreement has been reached between Cyprus and Russia for postponing the application of the Protocol amending Article 13 “Gains from Alienation of Property” of the Double Tax Treaty (DTT) agreement between Cyprus and the Russian Federation.

The provisions of the article were deferred in order to allow for Russia to renegotiate similar provisions in its DTTs with other countries. Such negotiations however never took place as countries refused to negotiate as a result of the sanctions imposed on Russia. This left Cyprus in a position of disadvantage, which is now being regularised through amending the original protocol, removing the provision altogether.

The Protocol, signed on 7 October 2010, amended among others, Article 13 of the Cyprus-Russia DTT, which provided that as from 1 January 2017, profits derived by a Cyprus tax resident person from the alienation of shares or similar rights deriving more than 50% of their value from immovable property situated in Russia may be taxed in Russia.

According to a press release issued by the Ministry of Finance on the issue, a supplementary protocol is currently being prepared in which the revised provisions of Article 13 of the DTT will be suspended until the introduction of agreed provisions in other bilateral agreements with other European countries.

For more information of Cyprus – Russian Double Tax Treaty , please contact us.

Latest Posts

  • Fast Track Residence Permit – 3rd Revision March 2021
  • Amendment to the VAT Law
  • Cyprus Tonnage Tax System: Flags which appear on the Grey List and Black List of the Paris MOU for the Fiscal Year 2017
  • New rules for taxation of intra-group Back To Back financing Arrangements
  • Cyprus Tax Resident individual, “60 days rule”

Services

  • Banking & Finance
  • Corporate & Commercial Law
  • Immigration Law
  • Fiduciary & Corporate Services
  • Intellectual Property
  • Litigation & Arbitration
  • Real Estate
  • Shipping & Admiralty
  • International Tax Planning

Search

Contact Us

Head Office Address
CJC BULDING
52, LEOFOROS ELLADOS
OFFICE 102, CY8020
PAPHOS – CYPRUS
Tel: +35726222969
Fax: +35726270225
Email: [email protected]
COPYRIGHT © 2017 S. MICHAEL & CO. LLC
  • Home
  • About
  • Services
    ▼
    • Banking & Finance
    • Corporate & Commercial Law
    • Immigration Law
      ▼
      • Cyprus Investment program
      • Cyprus Citizenship By Years Of Residence
      • Permanent Residence Permit In Cyprus
      • Temporary Residence Permit
    • Fiduciary & Corporate Services
    • Intellectual Property
    • Litigation & Arbitration
    • Real Estate
    • Shipping & Admiralty
    • International Tax Planning
  • News
  • Contact Us
We use cookies to ensure that we give you the best experience on our website. If you continue to use this site we will assume that you are happy with it.AcceptPrivacy Policy