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Cyprus Anti-Avoidance Rules - CFCs

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Manage episode 513713033 series 3330317
Content provided by htjtax. All podcast content including episodes, graphics, and podcast descriptions are uploaded and provided directly by htjtax or their podcast platform partner. If you believe someone is using your copyrighted work without your permission, you can follow the process outlined here https://podcastplayer.com/legal.

In this episode, we unpack Cyprus’s Controlled Foreign Company (CFC) Rule — a key anti-avoidance measure that ensures profits shifted to low-tax jurisdictions remain subject to taxation where real economic activity occurs.

We explain how Cyprus applies its CFC rule under the EU Anti-Tax Avoidance Directive (ATAD), what counts as a “non-genuine arrangement,” and when exemptions apply.

🧩 Key Topics Covered



  • Purpose of the Rule

  • The CFC regime is designed to counteract profit shifting to subsidiaries in low-tax jurisdictions.

  • ➤ In essence, if a Cypriot company controls a foreign entity that exists mainly to avoid tax, the CFC’s income can be taxed in Cyprus.



⚖️ How the Rule Works



  • Attribution Principle:

  • Non-distributed income of a qualifying CFC—derived from non-genuine arrangements primarily aimed at obtaining a tax advantage—must be included in the taxable income of the Cypriot controlling entity.



  • Substance Link:

  • Only income tied to assets and risks managed by significant people functions in Cyprus is reattributed.

  • This ensures that only profits linked to genuine Cypriot management are captured.



📘 Key Definitions



  • CFC (Controlled Foreign Company):

  • A non-Cypriot entity or foreign permanent establishment (PE) that:

  • • Is controlled directly or indirectly by a Cyprus tax resident (over 50% ownership, voting rights, or profit entitlement); and

  • • Pays less than 50% of the Cyprus tax that would apply if it were resident in Cyprus.



  • Non-Distributed Income:

  • After-tax profit that is not distributed to the Cypriot controlling entity within the tax year plus seven months.



  • Non-Genuine Arrangements:

  • Structures where the CFC’s income is generated by assets or risks controlled by Cyprus-based people, but formally owned abroad, mainly to secure a tax advantage.



  continue reading

1000 episodes

Artwork
iconShare
 
Manage episode 513713033 series 3330317
Content provided by htjtax. All podcast content including episodes, graphics, and podcast descriptions are uploaded and provided directly by htjtax or their podcast platform partner. If you believe someone is using your copyrighted work without your permission, you can follow the process outlined here https://podcastplayer.com/legal.

In this episode, we unpack Cyprus’s Controlled Foreign Company (CFC) Rule — a key anti-avoidance measure that ensures profits shifted to low-tax jurisdictions remain subject to taxation where real economic activity occurs.

We explain how Cyprus applies its CFC rule under the EU Anti-Tax Avoidance Directive (ATAD), what counts as a “non-genuine arrangement,” and when exemptions apply.

🧩 Key Topics Covered



  • Purpose of the Rule

  • The CFC regime is designed to counteract profit shifting to subsidiaries in low-tax jurisdictions.

  • ➤ In essence, if a Cypriot company controls a foreign entity that exists mainly to avoid tax, the CFC’s income can be taxed in Cyprus.



⚖️ How the Rule Works



  • Attribution Principle:

  • Non-distributed income of a qualifying CFC—derived from non-genuine arrangements primarily aimed at obtaining a tax advantage—must be included in the taxable income of the Cypriot controlling entity.



  • Substance Link:

  • Only income tied to assets and risks managed by significant people functions in Cyprus is reattributed.

  • This ensures that only profits linked to genuine Cypriot management are captured.



📘 Key Definitions



  • CFC (Controlled Foreign Company):

  • A non-Cypriot entity or foreign permanent establishment (PE) that:

  • • Is controlled directly or indirectly by a Cyprus tax resident (over 50% ownership, voting rights, or profit entitlement); and

  • • Pays less than 50% of the Cyprus tax that would apply if it were resident in Cyprus.



  • Non-Distributed Income:

  • After-tax profit that is not distributed to the Cypriot controlling entity within the tax year plus seven months.



  • Non-Genuine Arrangements:

  • Structures where the CFC’s income is generated by assets or risks controlled by Cyprus-based people, but formally owned abroad, mainly to secure a tax advantage.



  continue reading

1000 episodes

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