Strategizing International Tax Best Practices – by Keith Brockman

Posts tagged ‘US treaty protocol’

US protocols with Japan, Spain

The US tax treaty protocols will enter into force between US and the countries of Japan and Spain.

The Japanese protocol will have effect for withholding taxes (e.g., related to dividends and interest) for amounts paid or credited on or after the first day of the third month following the date on which the protocol enters into force — that is, 1 November 2019. For all other taxes, the Japanese Protocol will apply to tax years beginning on or after 1 January 2020.

For withholding taxes, the Spanish protocol generally will apply to amounts paid or credited on or after 27 November 2019, the date on which the protocol enters into force. For taxes determined by reference to a tax period, the protocol will apply for tax years beginning on or after 27 November 2019 (e.g., 1 January 2020, for calendar-year taxpayers). In all other cases, the protocol will apply on or after 27 November 2019.

The key features of the protocols are detailed in the EY Global Tax Alert, as reference. For the Spanish protocol, the new limitation on benefits requirements must be met timely for treaty-based withholding rates to apply.

https://www.ey.com/Publication/vwLUAssets/US_Treasury_Department_announces_entry-into-force_dates_of_tax_treaty_protocols_with_Japan_and_Spain/$FILE/2019G_001059-19Gbl_US%20-%20Japan%20and%20Spain%20protocols%20entry-into-force%20dates.pdf

%d bloggers like this: