понеділок, 18 квітня 2011 р.

4 per cent deductibility restriction for royalty in force from 1 April 2011

The tax code imposed restrictions for deductibility of royalty for the purposes of corporate profit tax (CPT) in Ukraine. 

Starting from 1 April 2011 Ukrainian legal entities will be entitled to deduct royalty paid to non-residents to Ukraine in the amount that does not exceed 4 per cent of gross income of previous fiscal year.

Outgoing royalty (royalty paid to non-residents) is not deductible at all if:

-   Royalty is paid to a person established in offshore jurisdictions;
-   Royalty is paid to a person that is not the beneficiary owner of such royalty;
-   Royalty is paid for an IP object that was registered for the first time on behalf of Ukrainian resident;
-   Royalty is not subject to taxation in recipient’s jurisdiction. 

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