— Impact “not damaging†because of loopholes
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The Finance Ministry in
Despite this negative development, experts told the Financial Mirror that the impact is not that great, since foreign companies investing in
The amendment to the Russian Tax Code came into effect on January 1 introducing a tax exemption on dividends earned by Russian companies through foreign subsidiaries under certain conditions. This exemption does not apply to foreign organizations registered in territories seen as having beneficial tax treatment or that are not required to disclose and provide information on financial operations.
The move is seen as an attempt by the authorities in
As at the end of September 2006, the total amount of accumulated investments in
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— Exemptions
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The draft list was first published on June 18, 2007 and included 59 jurisdictions, such as the offshore Caymans,
The list subsequently changed. All the
The speed with which Luxembourg, Belgium, Ireland and Austria got off the list, has given rise to speculation that once again, Cypriot officials were caught napping and either did not see the Russian move coming, or as is the case most of the times, could not be bothered to act.
Finance Minister Michalis Sarris was unavailable for comment.
Phidias Pilides, Managing Partner of PricewaterhouseCoopers, and Chairman of the Cyprus-Russia Association as well as the organisation in charge of attracting investments to Cyprus has described the move as “unfortunateâ€, since competitor countries such as Holland and Switzerland were taken off the list.Â
Pieris Markou, Head of Tax Services Deloitte, Cyprus told the Financial Mirror that in recent years Cyprus has seen a tremendous growth of Russian companies expanding abroad and playing an important role in the global markets. Many such companies are seeking listings on global financial markets.
“The above exemption of dividends is an attempt by the Russian government to encourage the flow of income back to
He added that the
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— Not a crisis
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“As an international business center,
“We anticipate that these efforts will be successful in view of the excellent relations that exist between
He explained that the positive aspect of the whole issue is that most
“The problem that arises is that maybe certain dividends from countries like The Netherlands will be completely tax exempt in
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— Keep the Treaty
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Angelos Gregoriades, Senior Tax Partner at KPMG told the Financial Mirror that while the
“The treaty is very good and at all costs it should not be allowed to be renegotiated,†Gregoriades said, adding that the development does not have a damaging impact since foreign companies who set up subsidiaries through Cyprus and channel investments to Russia and then receive dividends are not affected by the move.
He suggested that the Cypriot authorities should instead try to redefine the interpretation by the Russian authorities of the whole tax issue, copying the success with which other EU countries got off the list.
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— Too many loopholes
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Russian experts, however, do not believe the new black list will be that important, because the major companies which are close to the Kremlin and are mainly enjoying the income privileges, do not as a rule use shady offshore schemes, according to a report carried by RIA Novosti.
The amendments to the Tax Code will set zero tax on the profits from income companies receive on their shares in other companies (meaning their subsidiaries).
Until recently, the rate was 9% for Russian companies and 15% for foreign ones. Exemption from these payments was granted at the request of President Putin, who instructed the ministry to create stimuli for large companies to register at home.
Valery Tutykhin from the law firm John Tiner and Partners, told RIA Novosti that the ministry had made at least two blunders while drafting the list: it forgot to include the very obvious offshore zones, the
“Because of the proviso requiring at least a 500 million rouble stake in share capital, only major companies affiliated with the state would be able to use the privilege, but they are unlikely to use some obscure offshore territory to register,” the lawyer said.
His forecast is that major investments in the foreseeable future will be channelled mainly through
As for
In addition, according to Ernst & Young partner Pyotr Medvedev, the limitation on using