ARTICLE
29 December 2017

New Luxembourg IP Regime

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ELVINGER HOSS PRUSSEN, société anonyme

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Independent in structure and spirit, Elvinger Hoss Prussen guides clients on their most critical Luxembourg legal matters. Committed to excellence and creativity in legal practice, our firm delivers the best possible advice for businesses, institutions and entrepreneurs, playing a unique role in the development of Luxembourg as a financial centre.
On 4 August the Luxembourg government released Bill of Law 7163 for a new intellectual property ("IP") tax regime, which shall take effect in the tax year 2018.
Luxembourg Tax
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On 4 August the Luxembourg government released Bill of Law 7163 for a new intellectual property ("IP") tax regime, which shall take effect in the tax year 2018.

Since 2008, Luxembourg has offered a tax incentive consisting of an 80% exemption from corporate income tax for qualifying income and capital gains derived from certain types of intellectual property assets. Moreover, from 1 January 2009, a 100% exemption from net wealth tax ("NWT") had been applied to qualifying IP rights.

Following agreement on a modified nexus approach for IP regimes at both OECD and EU level, Luxembourg decided to abolish its IP box regime as of 1 July 2016 (with a grandfathering period of five years).

As was the case in the previous regime, under the new regime, eligible income from qualifying IP assets will benefit from an 80% exemption from Luxembourg income tax, resulting in an effective tax rate of approximately 5.2%, and a full exemption from Luxembourg NWT.

For further insight on the key features brought by this Bill of law, see the article " New Luxembourg IP regime" on our website.

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