ARTICLE
15 January 2013

Removal Of Cyprus From The Russian Tax "Blacklist"

EN
Elias Neocleous & Co LLC

Contributor

Elias Neocleous & Co LLC,  a young firm with a distinguished ancestry built on integrity, commitment and quality which we are not only continuing but expanding. Harnessing the power of technology we aim to deliver bespoke,  innovative legal solutions at ‘ cheetah fast ‘ speed. We look forward to working with all clients who share our passion for excellence driven by the highest standards of ethical legal services.
The long-awaited removal of Cyprus from the "List of the States and Territories providing preferential tax treatment and (or) not requiring disclosure and furnishing of the information upon conducting of financial transactions (offshore zones)" appended to Order 108n of the Ministry of Finance of the Russian Federation dated 13 November 2007 took effect from the beginning of 2013.
Cyprus Tax
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The long-awaited removal of Cyprus from the "List of the States and Territories providing preferential tax treatment and (or) not requiring disclosure and furnishing of the information upon conducting of financial transactions (offshore zones)" appended to Order 108n of the Ministry of Finance of the Russian Federation dated 13 November 2007 took effect from the beginning of 2013.

Order 115n of the Ministry of Finance of the Russian Federation dated 21 August 2012 provides that the Republic of Cyprus will be removed from the list with effect from 1 January 2013.

Companies incorporated in Cyprus will now be able to benefit from the Russian participation exemption, under which dividends received by Russian companies from qualifying participations will be exempt from tax, provided that:

  • The recipient holds at least half the equity of the distributing entity and the participation confers the right to receive at least half of the dividend distributed;
  • The recipient has held the investment for at least one year at the time the decision is made to distribute the dividend; and
  • The cost of the investment is RUR 500 million (approximately €13.6 million) or more.

Furthermore, transactions between unrelated Russian and Cyprus companies will no longer be subject to the automatic transfer pricing control scrutiny in Russia that applies to locations included in the "blacklist".

The countries remaining on the "blacklist" is now as follows: Andorra, Anguilla, Anjouan, Antigua and Barbuda, Aruba, Bahamas, Bahrain, Belize, Bermuda, British Virgin Islands, Brunei Darussalam, Cayman Islands, Channel Islands (Guernsey, Jersey, Sark, Alderney), Cook Islands, Dominica, Gibraltar, Grenada, Hong Kong SAR, Isle of Man, Labuan, Liberia, Liechtenstein, Macau SAR, Maldives, Malta, Marshall Islands, Mauritius, Monaco, Montserrat, Nauru, Netherlands Antilles, Niue, Palau, Panama, Saint Kitts and Nevis, Saint Lucia, Saint Vincent and Grenadines, Samoa, San Marino, Turks and Caicos Islands, United Arab Emirates and Vanuatu.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

ARTICLE
15 January 2013

Removal Of Cyprus From The Russian Tax "Blacklist"

Cyprus Tax

Contributor

Elias Neocleous & Co LLC,  a young firm with a distinguished ancestry built on integrity, commitment and quality which we are not only continuing but expanding. Harnessing the power of technology we aim to deliver bespoke,  innovative legal solutions at ‘ cheetah fast ‘ speed. We look forward to working with all clients who share our passion for excellence driven by the highest standards of ethical legal services.
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