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On 31 January, the Cyprus Tax Department (CTD) finally brought the regime providing for the mandatory reporting of reportable cross border arrangements (RCBAs), known as...
On 5 January 2021, the Cyprus Tax Department (CTD) issued two announcements on the local implementation of Council Directive (EU) 2018/822 on the mandatory automatic...
In this article, Aki Corsoni-Husain looks at the movement by the Cypriot government towards implementation of DAC6, and discuss the features of the draft bill currently...
On 31 January 2022, the Cyprus Tax Department (CTD) finally brought the regime providing for the mandatory reporting of reportable cross border arrangements (RCBAs),...
Our bespoke online tool helps intermediaries and taxpayers to quickly assess whether a transaction is a ‘reportable cross-border arrangement’ under the EU’s DAC6 rules.
There is no getting away from it: Cyprus is the black sheep of the EU flock at the moment as far as mandatory tax disclosures are concerned. It remains the last bastion...
As mentioned in our previous post, the Cyprus DAC6 Guidance has been with us since October 2021, but has to date been available only in Greek (publicly at least).
On 31 March 2021 Cyprus brought into force the Law on Administrative Cooperation in the Field of Taxation 2021 (AC21 Law) consequently transposing the Council Directive...
On 22 November 2021, the Cyprus Tax Department announced an additional extension for the submission of information on DAC6. The new deadline for filing without...
Following the discussion at EU level for the extension of deadlines for the filing and exchange of information on reportable cross-border arrangements under DAC6 (see...
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