As we promised, we have stayed in touch with one of the top attorneys in Montevideo, Juan Fischer, regarding the status of the proposed asset tax in Uruguay and we are passing his report along to you, verbatim.
You will notice that there is no tax levied on foreign residents in Uruguay. However, if you were to become a citizen before 2017, this new law would affect you. But if Uruguay abides by their word, this tax will be phased out anyway by 2017.
The current report is as follows:
In May of 2010, Uruguay announced it would make some adjustments to its tax laws.
Unfortunately, some unnecessary panic was generated when an early draft of the law that was still under discussion within the cabinet surfaced.
The aim of the tax changes is (and was from the start) to tax interest on deposits and dividends that Uruguayan citizens hold abroad, not to tax foreign residents living in Uruguay. In fact, the final draft of the law makes specific distinctions to ensure that those who relocate to Uruguay do not face extra taxes as a result.
Shortly after announcing the tax changes, the government made four successive announcements, to clarify matters:
· On May 28th, the Ministry of Finance issued an official statement ratifying that there will be no new taxes on Uruguayan companies, and that their offshore assets will not be taxed.
· It also clarified that there will be no taxes on assets owned abroad by foreign residents in Uruguay. The tax on assets is only for citizens (at a very small scale; and remember that this asset tax is gradually being phased out since 2007, and will disappear by 2017).
· On June 1st, another official announcement was made, stating that the law will in no way jeopardize the country’s policy of attracting foreigners to relocate in Uruguay. And that their income will not be taxed or double taxed.
· And finally, on August 3rd, the Minister of Finance announced, when submitting the final draft of the bill to Congress, that it contains an explicit solution to avoid double taxation: a tax credit is granted to those who pay income tax abroad. This ensures that foreign residents in Uruguay are not double taxed.
In sum, then, the tax changes that will result, and will likely be effective from 2011 onwards, if the bill is voted, are:
A) On assets: Citizens (not foreign residents) will face a small tax on overseas deposits, securities and loans. The rate is 0.07% to 0.5%. (Between less than a tenth of a percentage point and half a percentage point). This tax, the asset tax (known as “IP”) is being phased out, annually, and will disappear by 2017.
B) On income: Only three types of income generated outside of Uruguay will be taxed: interest on deposits, interest from loans to a foreign company and dividends. The rate will be a flat 12%.
But, if a person already pays income tax abroad, on any of those three types of income, he or she will not have to pay in Uruguay. The person gets a tax credit, to avoid paying taxes twice.
Any other type of income generated abroad (besides the three listed ones) is excluded. Thus, salary, capital gains on sale of shares or property, pensions, lease, income, or any other type of income are all untaxed.
Juan Federico Fischer
Managing Partner
FISCHER & SCHICKENDANTZ
Tel: (+598) 2 915-7468 ext. 130
Cell: (+598) 99 925-106
jfischer@fs.com.uy
http://www.fs.com.uy/
Friday, August 6, 2010
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Thanks. Note that the tax bill has not yet been passed, so this summary is of a draft version. A lot can happen to a bill while it's on the road toward approval.
ReplyDeleteThank you very much, "Anonymous" and you are absolutely right. I hope everyone picked up on the fact that it is the "proposed" tax law. We will keep in touch with attorneys here and let everyone know of changes as we hear of them.
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