 |
|
|
 |
 |
| |
 |
| Lowtax Network Sites |
| Lowtax Network Portal:
'Low-tax' business and investment in the top 50 jurisdictions covered in
exceptional detail. |
| Tax News: Global
tax news, continuously updated through the day. |
| Investors Offshore:
The independent offshore and alternative investment guide for expatriates
and the globally aware investor. Sponsored by HSBC
Bank International. |
| Law & Tax
News: Daily news and background data on tax and legal developments
for international business. |
| Offshore-e-com:
A topical guide to offshore e-commerce focused on tax and regulation. |
| Lowtax Library:
One of the web's largest and most authoritative business and investment
information sources. |
| US Tax Network:
The resource for free online US taxation information, covering: corporate
tax, individual tax, international tax, expatriates, sales and e-commerce
tax, investment tax. |
| Personal
Business Tax Guide: Providing essential tax news and information
on business for contractors, entrepreneurs, professionals, small businesses,
artists, sportspersons and entertainers. |
| Offshore Trusts
Guide: OTG publishes news, features and newsletters on the use of
offshore trust structures. |
| TreatyPro: Online
tax treaty resource. |
|
|
| Gibraltar's Tax Regime Backed By EU Court Advisor |
by Jason Gorringe, Tax-News.com, London
Thursday, April 14, 2011
Chief Minister Peter Caruana has expressed satisfaction at the Advocate General’s
Opinion in the European Union tax case which he said is 'entirely favourable' to Gibraltar’s position both on the issues of regional selectivity and material selectivity.
The case brought by the European Commission centres around Gibraltar’s
old tax regime and its transition to a new 10% tax regime, introduced to compensate
for the phasing out of the exempt company form, and to ensure equitable taxation
for resident companies and non-resident companies. The Commission has brought
the appeal to ensure that Gibraltar’s new regime is compatible with European
Union law on the grounds of ‘material selectivity’, a principle
that ensures that the territory’s regime does not disproportionately benefit
non-resident companies over their resident counterparts and vice versa.
In a statement responding to the publication of the opinion of the Advocate General, Caruana
said that: “The government has throughout asserted its confidence in the legality
under EU law of everything that it has proposed and done, and this has previously
been confirmed by the lower court and now by the Advocate General in the higher
appeal court. The government thus remains confident, of the final outcome of
the appeal in Gibraltar’s favour.”
Spain has not only joined the European Commission in its appeal on the grounds of material selectivity, but is also appealing the ruling on regional selectivity, a challenge to Gibraltar’s
fiscal autonomy, i.e. its right to have a tax system different from that of the UK’s.
The Gibraltar government is also highly confident that the territory will be
recognized as having autonomy from the UK, and the UK has consistently said it is 100% on-side
in this respect. Caruana slammed Spain's claims prior to the ruling in favour
of Gibraltar on this matter in the Court of First Instance, pointing to the
territory’s 1969 constitution.
In the first, crucial ruling by the Court of First Instance, on regional selectivity,
the Court dismissed the case brought by the Commission and Spain, and stated that although
the UK represents Gibraltar, Gibraltar does have fiscal autonomy from the UK
– a decision that acknowledged the territory could have a tax regime separate from that of the
United Kingdom’s. This gave Gibraltar the green light to overhaul its tax regime on January 1, 2011,
to one with a headline corporate tax rate of 10%, on both resident and non-resident companies, and a 20% tax rate on utility companies, replacing the regime previously in place which was said to not conform with EU standards. Opinions by Advocates General are not binding on the full Court of Justice, but judges tend to follow them in the majority of cases.
A comprehensive report in our Intelligence Report series
tracing in detail the course of the last six years both globally and at jurisdiction
level, explaining precisely what you get - and don't get - for your money in
all of the main offshore jurisdictions, is available in the Lowtax Library at
http://www.lowtaxlibrary.com/asp/subs_reports.asp
and a description of the report can be seen at
http://www.lowtaxlibrary.com/asp/description_report1.asp
|
|
|
|
| THE LOWTAX LIBRARY
One of the web's largest and
most authoritative business and investment information sources. Alongside
topical, daily news on worldwide
tax developments, you can receive weekly newswires or
access up-to-date intelligence
reports on a range of legal, tax and investment subjects.
FREE TRIAL NEWS SUBSCRIPTION
Our 16 constantly updated
intelligence reports cover every important aspect of 'offshore' and international
tax-planning in depth, including banking secrecy, the EU's savings tax
directive, offshore funds, e-commerce, offshore gaming and transfer pricing.
Reports are available for immediate downloading or as subscription
services with news pages.
|
|
 |
|