(1)Cyprus Corporate Tax Reforms: EU's 15% Minimum Tax Rate Explained, (2)EU's 15% Minimum Tax for Multinationals: Impact on Cyprus, (3)Cyprus and EU Corporate Tax Reforms: What Businesses Need to Know, (4)Understanding Cyprus' Implementation of the EU 15%

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OECD AND THE EU INITIATIVE TO SET A MINIMUM TAX RATE OF 15% FOR ALL EU MEMBER STATES

OECD AND THE EU INITIATIVE TO SET A MINIMUM TAX RATE OF 15% FOR ALL EU MEMBER STATES

In the midst of extensive tax reforms, the European Union, including Cyprus, is leading the way in a notable change in corporate taxation. The European Commission's enforcement of a minimum 15% tax rate for multinational companies earning over €750 million annually, starting from January 1, 2024, signifies a crucial moment. Nevertheless, Cyprus, along with a few other EU nations, is encountering a distinctive transitional phase due to delays in implementing the legislation. This article delves into the complexities of this transition, its legal structure, and the wider consequences for businesses operating in Cyprus.

 

OECD and EU mutual understanding

The reform was led by the Organization for Economic Cooperation and Development (OECD), which includes 38 countries. Supported by more than 140 countries, the initiative demonstrates a worldwide agreement. Its main objective is to reduce the competition to lower corporate tax rates, a strategy that has resulted in multinational corporations paying taxes in locations where they are registered rather than where they generate profits, often in jurisdictions with more advantageous tax systems.

 

Role of the United States

The reform has received strong support from the United States. The US Senate's investigations have uncovered the involvement of major tech companies such as Apple, Google, Facebook, and Amazon in complex financial strategies aimed at reducing their tax obligations, resulting in significant loss of revenue for the US treasury. By taking advantage of loopholes and favorable tax rates in countries like Ireland, these companies have brought attention to the need for a fairer global tax system.

 

How Cyprus plans to implement the requirement

Cyprus remains dedicated to complying with this directive; however, the enforcement of the 15% tax rate is being postponed as the Ministry of Finance's proposed legislation is currently under legal review. The legislation, set to be presented to Parliament early 2024, will be applied retroactively from the start of the year. Government officials have stated that this delay is not foreseen to cause any problems with European authorities.

 

Two aspects of the approach, from an EU perspective

The recent tax regulations are based on the OECD's two-pillar strategy, which has now been adopted by the EU: Pillar 1: Specifically targets multinational corporations with a net margin of over 10% and turnover exceeding 20 billion euros, requiring them to pay taxes in the countries where they generate profits, regardless of physical presence. This does not apply to companies in natural resource extraction and financial services sectors. Pillar 2: Establishes a minimum tax rate of 15% for companies with revenues surpassing €750 million, regardless of their registration location or income source. The objective is to align with the European Directive and ensure a universal minimum level of taxation.

 

The potential effect in the digital industry

The aspect of the 'digital tax', while not limited to any specific industry, primarily affects the IT sector. The objective of the new system is to eradicate intricate tax avoidance schemes by ensuring that major corporations pay their fair share of taxes in the countries where their consumers are located.

 

Domestic Flexibility Concept

Article 12 of the legislation, which will come into effect on January 1, 2025, permits the introduction of a specific domestic tax, showcasing the flexibility of the EU's tax framework.

 

Potential effect on international businesses

Cyprus's adherence to this directive as an EU member state signifies a notable departure from its previously lower corporate tax rates. This alteration carries extensive consequences for both domestic and international companies conducting business on the island, particularly those with substantial revenue streams. Although the 'digital tax' aspect is not limited to any specific industry, it is anticipated to have a substantial effect on the IT sector by tackling intricate tax avoidance schemes.

 

The aim from an international standpoint

The reform signifies a shift towards fairer and more open corporate taxation. Businesses in Cyprus are required to adjust to this updated framework, complying with regulations from both the local government and the European Union.

 

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