Company Formation in Austria. Tax l Accounting l Audit l Advisory

Similar documents
Income in the Netherlands is categorised into boxes. The above table relates to Box 1 income.

Why Spain? Why Austria?

TAXATION OF INTEREST, DIVIDENDS AND CAPITAL GAINS IN CYPRUS

German Tax Facts. The Expatriate Financial Guide to Germany

Living and Working in Austria. 1 l Income tax in Austria 2 l Social Security in Austria 3 l Residence And Work Permits in Austria

A 5.5% solidarity surcharge is imposed on the income tax liability of all taxpayers.

Receita Federal do Brasil (RFB) 1 January to 31 December Last working day of April following end of tax year

The Advantages of the UK as a Location for a Holding Company. David Gibbs May 2015

G E N C S V A L T E R S L A W F I R M B A L T I C T A X C A R D

MALTA: A JURISDICTION OF CHOICE

MALTA Jurisdictional Guide

Worldwide personal tax guide Japan. Local information National Income Tax Rates Taxable Income Band National Income Tax Rates

Holding companies in Ireland

An Introduction to Taxation in Indonesia. November 2012 Steven Solomon

Provinces and territories also impose income taxes on individuals in addition to federal taxes

UNITED KINGDOM LIMITED LIABILITY PARTNERSHIPS

DOING BUSINESS IN GERMANY Overview on Taxation

Slovenia. Chapter. Avbreht, Zajc & Partners Ltd. 1 General: Treaties. 2 Transaction Taxes. Ursula Smuk

Income tax for individuals is computed on a monthly basis by applying the above progressive tax rates to employment income.

A E. 03 The full syllabus operational level continued. The full syllabus operational level F1 A. PRINCIPLES OF BUSINESS TAXATION (25%)

Spain Tax Alert. Corporate tax reform enacted. Tax rate. Tax-deductible expenses. International Tax. 2 December 2014

Doing business in Sweden.

Taxation of aircraft financing in Germany

Private Company: SWEDEN

Mexico Mergers and acquisitions involving Mexican assets

Implementation of the EU tax directives in Poland

Common Working Theory into Practice

TURKEY CORPORATE TAX (KURUMLAR VERGISI) The basic rate of corporation tax for resident and non-resident companies in Turkey is 20%.

Dividends The Company will not be required to withhold tax at source from dividend payments it makes.

GLOBAL GUIDE TO M&A TAX

14. Corporate Tax and Depreciation

Fact Sheet No.14 Corporate Tax and Depreciation

International Tax Alert

CLIENT ATTORNEY PRIVILEGED WORK PRODUCT. Jurisdictional comparison The Netherlands Luxembourg Cyprus Holding companies

Annual International Bar Association Conference Tokyo, Japan. Recent Developments in International Taxation. Portugal. Guilherme Figueiredo

Doing business in Denmark 2014

PRACTICAL LAW EMPLOYEE SHARE PLANS LABOUR AND EMPLOYEE BENEFITS VOL 2 MULTI-JURISDICTIONAL GUIDE 2011/12. The law and leading lawyers worldwide

INFORMATION REGARDING PROPOSED REDEMPTION OF SHARES IN BETSSON AB

Luxembourg holding companies: competitive and tax-efficient

ishares IV Public Limited Company

Europe. NEW OPPORTUNITIES FOR DIVIDEND WITHHOLDING TAX REFUNDS EU / EEA Tax Exempt Entities Handbook

Brazzaville GMT +1. Crespin Simedo Pereira Mobile: ,

31 October (paper filing) 31 January (Electronic Filing)

Setting up your Business in the UK Issues to consider

Taxation of Individuals Practical tips & hints. Robert Bezecný, Lucie Rytířová 17 February 2015

Setting up your Business in Australia Issues to consider

Accountants & business advisers. Doing business in Austria

GENERAL OVERVIEW OF TAXES, LEVIED IN UKRAINE

The marketing of participations in foreign private equity funds from an Austrian tax perspective

The UK as a holding company location

450 Lexington Ave 1350 I Street, NW Suite 3320 Suite 1100 New York, NY Washington, DC 20005

Greece Country Profile

Overseas aspects of corporation tax may be examined as part of question two, or it could be examined in questions four or five.

Country Tax Guide.

Global Stock Options Survey. Wardynski & Partners Poland

tes for Guidance Taxes Consolidation Act 1997 Finance Act 2014 Edition - Part 13

Comparison of Holding Regimes in Europe, Middle East and Africa

TAX PRACTICE GROUP Multi-Jurisdictional Survey TAX DESK BOOK

Tax Considerations Of Foreign

Guide to Going Global TAX 2015

CYPRUS TAX CONSIDERATIONS

IRAS e-tax Guide. Tax Exemption for Foreign-Sourced Income (Second edition)

Tax Card 2013 With effect from 1 January 2013 Lithuania. KPMG Baltics, UAB

ASCII file structure, FORM #044 File TSD.txt Identifier, data record, data lines #044 Form TSD with annexes #0. . Taxpayer's registration number

TAX GUIDE BELGIUM. Professional advice should be obtained before acting on any information contained herein.

News Flash. September, Tax guide for property investment in Hungary

Monaco Corporate Taxation

TAX DEVELOPMENTS IN POLAND UPDATE 2009

Intellectual Property Rights (IP-Box) in Luxembourg

Delivering U.S. International Tax Advice to U.S. Clients Doing Business Abroad

SETTING UP IN. France FACTS & FIGURES

How to establish a business in Germany

Is Section 10d of the Corporate Income Tax Act consistent with Article 9 of the OECD Model Tax Convention?

THE TAXATION INSTITUTE OF HONG KONG CTA QUALIFYING EXAMINATION PILOT PAPER PAPER 5 ADVANCED TAXATION PRACTICE

NZ Society of Actuaries. Conference. Wairakei - November 2008 Anthony Merritt

How Canada Taxes Foreign Income

Tax Treatment of Stocklending/Sale and Repurchase (repo) Transactions

Addendum. This addendum set out changes to be made in the Statement of Additional Information (SAI) of Tata Mutual Fund.

Limited Liability Partnership (LLP) versus Limited Company

New Zealand. Country M&A Team Country Leader ~ Peter Boyce Declan Mordaunt Mike Morgan Eleanor Ward Ian Fay Michelle Redington Ravi Mehta

Expanding into Brazil

You and your shares 2013

Director s Fees: An overview of corporate and personal tax compliance for Canadian companies and their directors

Cross Border Tax Issues

International aspects of taxation in the Netherlands

Netherlands Country Profile

Dealing with tax complexities in Brazil

SOPARFI-Financial Holding Company in Luxembourg

TAX CARD 2015 ROMANIA

United States Corporate Income Tax Summary

Transcription:

Tax l Accounting l Audit l Advisory Company Formation in Austria When considering an investment abroad thought must be given to taxation of income received as dividends and interest as well as any capital gains tax liability on disposing of the asset. Other points to be reviewed are deferral issues and utilisation of losses. In many European Union states holding companies are treated favourably in matters of foreign sourced income and most have broad-ranging double taxation treaty arrangements. Within this section we provide you with a summary of current tax framework for holding entities as well as with key elements of company formation in Austria.

1 Company Formation in Austria Legal Form An Austrian Company can be constituted as an Aktiengesellschaft (joint stock company AG) or a Gesellschaft mit beschränkter Haftung (private limited company GmbH). Share capital The minimum share capital for a GmbH is 35,000 and for an AG 70,000. The share capital of an AG must be fully paid up. For a company incorporated as a GmbH a minimum of 17,500 or the equivalent of 50 % of the share capital must be paid up on incorporation. Taxation Corporate tax is a flat rate of 25 %. The minimum tax payable is 1,750 for a GmbH and 3,500 for an AG. Capital duty of 1 % is levied on the amount of capital contributed to a new corporation or when the capital of an existing corporation is increased. Income The taxable income of an Austrian Company is based on the annual financial statements prepared in accordance with Austrian Corporate Law (UGB) or International Financial Reporting Standards (IFRS) subject to adjustments in accordance with Austrian Tax Law.

2 Dividends Exemption Dividends received by an Austrian Company from: an Austrian subsidiary are exempt from corporate income tax, regardless of the amount of participation held. a non-eu/eea resident subsidiary will not be subject to any tax if the parent company owns at least 10 % of the share capital for a minimum period of 1 year. an EU/EEA resident subsidiary are exempt from tax, regardless of any amount of participation held. However, dividends deriving from abroad countries are subject to certain anti abuse rules like in particular a minimum taxation (15 %) and an operative income in the source country. Capital Gains Exemption Gains derived from the disposal of shares of a non-resident company in which the parent holds at least 10 % of the share capital for a period at least 1 year are exempt from tax. The previous rules applied to dividends must also be applied to capital gains. Exemption from Withholding Tax on Payment of Dividends Dividends paid are exempt from withholding tax if the following conditions are met: the recipient is an Austrian company that owns at least 25 % of the distributing company the recipient company is an EU resident (proved by a residence certificate) which owns at least 10 % of the distributing company for a minimum period of 1 year.

3 Exemption from Withholding Tax on Payment of Interest Interest paid by an Austrian company, subject to unlimited corporation tax, to a parent company which owns at least 25 % of the payer for a minimum of 1 year no source - tax has to be withheld. Tax deductibility of interest Basically interest paid for financing the acquisition of a subsidiary are tax deductible. However, if the subsidiary is purchased from another group company, the interest paid become non-deductible.

4 Key Elements: Formation Legal Form Minimum Subscribed Capital Minimum Paid-Up Capital: Minimum Number of Shareholders Taxation Capital Duty 1 % Joint stock company (AG) Private limited company (GmbH) 70,000 (AG) 35,000 (GmbH) 70,000 (AG) 17,500 (GmbH) 1 (AG) 1 (GmbH) Corporate Income Tax 25 % Double Tax Treaties approx. 80 Dividends Exemption 100 % Holding Requirements Capital Gains Exemption Holding Requirements Tax Credit Relief of Losses Withholding Taxes Dividends Interest EU/EEA: 0 % and no tax abuse Non-resident: 10 % and no tax abuse Yes 10 % and 1 year, 15 % corporate tax Yes Carry forward indefinitely Losses carried forward may only be offset against 75 % of the profits of the year EU Parent Co: 0 % (if conditions are met) Treaty Countries: 0 % - 10 % Others: 25 % EU Parent Co: 0 % (if conditions are met) Treaty Countries: 0 % - 25 % Others: 25 % Publisher: STANROS Steuerberatung e.u. I www.stanros.at Disclaimer: The content of this issue represent only general information and does not replace specific advice in individual cases. STANROS assumes no liability for damage of any kind due to the use of information offered here. STANROS assumes no liability for the accuracy and completeness of the content. All rights reserved.