[elementor-template id=”3753″]
This is dummy title and will be replaced with real title of your post
Image with size : 1140×570
Image: unsplash.com
The amendments in the new amending protocol to the UK-Taiwan tax treaty were detailed by Taiwan’s Ministry of Finance on January 18. After entering into force on December 23, the protocol takes effect on January 1.
Among the modifications, the protocol adds a new article 27 to the treaty on the right to benefits in order to implement the OECD minimum standard on treaty abuse prevention. The new article uses the major purpose test for this reason.
Article 25 on the mutual agreement procedure (MAP) is also updated in the protocol to implement the minimal level for more effective conflict settlement. Taxpayers can now take their MAP case to the competent authority of any treaty state, not just the one where they live, thanks to the amendment article.
The agreement also establishes a three-year deadline for MAP petitions.
Other changes to the protocol include a 15% dividend tax rate in some circumstances and an expansion of tax information transmission.
Source: mnetax.com
Related Posts
edit post
Taxation
Taiwan emphasizes revisions in new tax treaty protocol with UK
edit post
Relocation
Due To MM2H Policies, Malaysia No Longer “Best Asian Retiree Destination”
edit post
Immigration
How to benefit from an Australia Skilled immigration visa
edit post
Taxation
China’s 11th-Hour Tax Reprieve Welcomes Foreign Workers
edit post
Updates
After being deported, Novak Djokovic returns to Serbia
edit post
Updates