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All foreign investors doing business in Iran or deriving income from sources in Iran are subject to taxation. Depending on the type of activity the foreign investor is engaged in, different taxes and exemptions are applicable, including profit tax, income tax, property tax, etc.

1. Corporate and Profit Tax:

Prior to the distribution of profits, a company must pay a flat 10% of its taxable profit as corporate tax. Additionally, the company must calculate each shareholders tax liability (25%) plus 3% municipality tax. [Note: public companies listed on the Tehran Stock Exchange are exempt from the 10% corporate tax].

2. Tax on Liaison, Representative and Branch offices:

The same corporate and profit taxes will be applied to the taxable income of branches of foreign companies (contractors, consultant engineers, etc.).

3. Personal Income Tax of Local Employees

Taxable income consists of salary and benefits. As presented in the following table, income is taxed at 0-35%. Employers are required to make the necessary tax deductions from their employees' payroll and submit them to the tax authorities. However, when calculating taxable income, exemptions and deductions are allowed. In addition to income tax, employers are required to contribute to the State Social Security Fund and the Employment Fund. The table below contains the different local and foreign income categories and their relative tax rates:

Annual Income/Profit (Rials)Tax Rate
Up to 17,400,000 0%
17,400,001 to 59,400,000 10%
59,400,001 to 89,400,000 15%
89,400,001 to 159,400,000 20%
159,400,001 to 309,400,000 25%
309,400,001 to 1,059,400, 30%
In excess of 1,059,400,000 35%

3. Personal Income Tax of Foreign Employees

Foreign nationals working in Iran are also subject to income tax based on their salary. The government assumes a certain salary for employees depending on their position and country of origin. The following table presents assumed monthly salaries and benefits of foreign nationals. The latest tax circular, issued in 1999, drastically increased the tax liability of foreign nationals working in Iran. As indicated, the assumed minimum monthly salaries range from US$2,500 for unskilled European workers to US$7,000 for European managing directors. The income of foreign nationals are subject the tax rate of 35%. The table below contains the income tax rate of the employees of two main group of the countries:

 W. Europe, USA, Canada, Japan & BrazilEastern European countries Turkey, S. Africa, Greece
Managing directors US$7000 US$3220
Chief representatives (branch offices of foreign companies) US$7000 US$3220
Deputy MD or CR, managers, supervisors for installation US$6000 US$2760
Division managers, senior experts/technicians US$5000 US$2300
Employees, secretaries, translators US$4000 US$1840
Skilled workers, technicians, stewards, nurses US$3000 US$1380
Unskilled workers US$2500 US$1750

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Is that true that there is no Withholding tax on dividend applicable?

No additional taxes are imposed on shareholders for dividends received. Taxes withheld by the investment company are final. Normally, the investor's record dividend received at the net amount and deducts it in calculation of taxable income as exemptions.

There are withholding taxes on salaries and wages based on the relevant rates.

There are withholding taxes on fees for certain services equal to 5 percent of the fees in addition to other withholding taxes mentioned above.

There are taxation treaties with certain foreign governments to avoid double taxation. Scope of such treaties may differ.

Earnings of an industrial or mineral company, which is apportioned for development or renovation of the existing plants or for construction of new plants, are exempted from 50 percent of the taxes thereon, given certain condition, are met.

In the special case of foreign contractors sub-contracting part of their project to Iranian sub-contractors, the foreign contractor is only required to make a tax withholding of 2.5% from payments to the Iranian contractor.

Extract of different articles of Direct Taxation Act

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Is there capital gains tax in Iran, if so, on which type of gains?

If by capital gaining it means economic rent then it will not be subject to any tax.

Taxation Organization of Iran

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Is there withholding tax on interest?

According to the Tax Organization of Iran, with regard to tax related to interest and dividend and declared income shall be reflected in Loss and Profit Account of the Institute or organization and shall influence accounting profit and shall be investigated among other incomes of institute and its tax shall be determined and collected.

Article 105: The aggregate income earned by companies and the income earned from various sources in Iran or abroad, through profit making activities by other juridical entities shall, after levying the damages resulting from non-exempt sources and after having deducted tile exemptions as prescribed, excluding the cases subject to different rates under the provisions made in the present Act, be liable to 25% tax rate.

Note 4: The natural persons and legal entities shall not be liable to any other taxes in respect of the dividend or the contribution they may collect from the companies requesting investment.

Taxation Organization of Iran

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How often do private companies have tax audits?

Tax auditing for the purpose of determining income subject to tax shall be done once in every fiscal year.

Taxation Organization of Iran

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What the tax implications of the different types are of entitles (branch vs. subsidiary etc.)?

Representatives and branches of foreign companies in Iran that are working for parent company to gather economical information and data as well as marketing, without right to carry out transaction, and receive money from the parent company to compensate for their expenses shall not be subject to income tax.

Taxation Organization of Iran

Note 3 of the Article 107 of the Direct Tax Act illustrate this more clearly:

Note 3: The branches and representative offices of foreign companies and banks in Iran which shall proceed to render activities for marketing and gathering of economic data and information in Iran for the holding company, without having the right to enter into a transaction in Iran, and which shall collect amounts from the holding company in order to meet the expenses and its financial requirements, shall not be liable to income tax.

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If an Iranian company formed by a foreign company individually or shared with an Iranian company establish a branch in a third country, will the Iranian government claim any tax duties for the benefits of such a branch or it can be paid to local government?

It merely depends only on how the new company is registered in the third country. If it is acting as the agent or branch of the Iranian company, the benefits made by it will be subject to Iranian tax duties but if it is registered as an independent and local company in the third country, it has to follow the duties of the country which produce benefits on it and the Iranian tax authorities will not charge the Iranian based foreign company for eventual benefits of this new company.

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What is Article 131 of the Direct Taxing Law?

Article 131 of the Direct Taxing Law is as follows:

The tax rates on the income of natural persons, excluding the instances for which a separate rate has been provided in conformity with the provisions made in the present Act, shall be as follows:

Amount of (Annual) Taxable IncomesTaxation Rates
Up to 30,000,000 Rials 15%
Up to 100,000,000 Rials 20% on sums in excess of 30,000,000 Rials
UP to 250, 000,000 Rials 25% on sums in excess of 100, 000,000 Rials
Up to l, 000,000,000 Rials 30% on sums in excess of 250, 000,000 Rials
Over l,000,000,000 Rials 35% on sums in excess of 1,000,000,000 Rials

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What is Article 69 of the Taxing Law?

Article 69 of the Direct Taxing Law is as follow

Final transfer of low and medium price residential units for the first time shall be exempt from payment of the tax stipulated for final transfer of real properties, provided that such residential units are built within ten year from the date of approval of the present Act in accordance with the criteria and at prices to be determined by the ministries of Housing and Town Planning and Economic Affairs and Finance, and also on the condition that they are transferred no later than one year from the expiry of the time limit for implementation of the relevant building project which shall be fixed by the Ministry of Housing and Town Planning or local municipalities, as the case may be.

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With which countries has Iran the Agreement to Avoid the Double Taxation and Foreign Investment Promotion and Protection Act

In the framework of the Foreign Investment Promotion and Protection Act, Iran has concluded and signed bilateral investments with many countries.

Please click here to view the list.

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In order to prolong paying less tax, what is the maximum period an accumulated loss of an existing company can be carried forward?

Any decision on the transfer of accumulated losses of a company should be based on the company's Board of Director's proposal and made in its ordinary annual session of the shareholders not later than 4 month after the end of the company's fiscal year. The Low doesn't introduce any limit for this operation.

Article 239 of the Commercial Act

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100% of the income earned through export of finished industrial products as well as the products of the agricultural sector (including farm and orchard produces, livestock and poultry, fishery products, forest and pasture products) and those of conversion and complementary industries, as well as 50% of' the income earned through the export of other commodities whose export shall contribute to the achievement of national objectives relating to the promotion of non-oil exports shall be exempt from taxation.

Article 141 of the Direct Taxation Act

The income derived from all activities in the field of agriculture; animal rearing; stockbreeding; fish farming; bee-keeping; poultry husbandry; hunting and fishing; sericulture; revival of pastures and forests, horticulture of any type and palm trees, is exempt from payment of taxes. The government is obligated to undertake appropriate studies and investigations in the field of all agricultural operations and on those branches of such activities in respect of which the tax exemption status is to be continued.

Article 88 of the Direct Taxation Act

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Would foreign nationals working in Iran be subject to tax disclosures on their world-wide income or only on their income generated in the Iran?

Any non Iranian citizen (legal or real entity) will be subject to tax payment in proportion to incomes earned in Iran and also in proportion to incomes earned in Iran for transferring rights or other rights and privileges and/ or rendering instruction and technical assistance and / or assigning Movies (earned as price or show right or under any other title).

Taxation Organization of Iran

 

 

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Recommend (5) Caribbean & Central American Countries of the Future 2015/16
Costa Rica retains its position as the leading destination for FDI projects in fDi’s Caribbean & Central American Countries of the Future 2015/16 ranking.

It was a year of mixed results for global FDI in 2014. According to greenfield investment monitor fDi Markets, capital investment across the world increased by an estimated 1% from $642bn in 2013 to $649bn in 2014, while job creation rose by an impressive 17% to 1.84 million. However, FDI project numbers actually fell by 1% to 12,069. The Caribbean & Central America region experienced an even sharper decline, recording an 8.89% decrease in the number of FDI projects from 2013 to 2014.

Some countries in the region bucked this trend. Just over a third of locations in the ranking recorded significant increases in the number of FDI projects they attracted.

Top trio

Costa Rica retained its position as the leading destination for FDI projects in fDi’s Caribbean & Central American Countries of the Future 2015/16 ranking, winning 29 in 2014, four more than Panama. Costa Rica’s stable political and economic structures play a large role in continuing to attract investors, particularly those involved in hi-tech manufacturing, as companies take advantage of the country’s well-educated workforce. In addition, the government is pursuing a policy of making Costa Rica “the Silicon Valley of Latin America”. Billion-dollar technology giants such as Acer and Microsoft are investing in the country, indicating that the policy is already paying off. Costa Rica has a free-trade agreement with its primary FDI source market, the US, which aided its ranking as the top destination in the Business Friendliness category.

Related content
Caribbean & Central American Countries of the Future 2015/16 – FDI Strategy winners
Caribbean and Central American Countries of the Future 2013/14
Download a copy of the full results
Ranking first in the Human Capital and Lifestyle category, the country’s emphasis on education is borne out by the fact it has the highest number of tertiary-level education institutions in the region, as well as the largest number of international business schools. Costa Rica also performed strongly in the Economic Potential and Connectivity categories, ranking second and sixth, respectively.

Panama maintained its number two position overall, topping the Economic Potential and Connectivity categories, as well as making the top five of the remaining three categories. Between 2009 and 2013, Panama’s GDP averaged double-figure growth rates in GDP, which contributed to its high ranking in the Economic Potential category. Panama has begun to reap the rewards of major infrastructure projects announced in 2011, such as the expansion of the Panama Canal and investments in roads and airports, allowing it to maintain a distinct edge on its competitors and ultimately win the Connectivity category. This, coupled with the free-trade agreement with the US, enabled Panama to increase its inward FDI projects by 47% between 2012 and 2014.

quoteAs a country, we have made huge strides to improve the business environment in order to enhance its attractiveness to global entrepreneurs and foreign investors seeking opportunities in our country – Diane Edwards, president, Jamproquote
Improved performances in the Economic Potential (fourth), Connectivity (third) and Business Friendliness (second) categories helped Puerto Rico move up to third place overall in the 2015/16 rankings, a climb of three positions from the 2013/14 rankings. However, amid continuing uncertainty over the territory’s public finances along with the looming threat of a default on its debt, the economic climate in Puerto Rico may change significantly in the coming months.

With the decline in the number of FDI projects from 2013 to 2014 in major sectors such as financial services, and hotels and tourism, for countries in the region there will be greater competition for fewer projects. As such, it is important that countries encourage infrastructure and skills development, as well as look to emerging sectors and subsectors.

This article is sourced from fDi Magazine

 

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It’s the future of manufacturing, according to many experts, but what effect will Industry 4.0 have on the flow of investment capital, and which countries will benefit most?

 

Some call it the Fourth Industrial Revolution. Others refer to it as 'Industry 4.0'. It is a vision of tomorrow’s manufacturing in which a network of devices with embedded technology enable the transfer of data via the internet.  

The core of Industry 4.0 is highly intelligent, connected systems that create a fully digital value chain. Based on cyber-physical production systems that combine communications, IT, data and physical elements, Industry 4.0 is intended to transform what are traditional manufacturing plants today into smart factories of the future. 

The potential of Industry 4.0 is enormous, especially if it becomes a key enabling technology for digital businesses. US-based research and advisory firm Gartner estimates that 4.9 billion internet-connected 'things' were already in use in 2015. Gartner expects that figure to rise to 25 billion by 2020.

The annual IBM Global Location Trends report for 2015 states that the emergence of the Internet of Things (IoT) and changes associated with Industry 4.0 will usher in new opportunities for companies to operate complex networks of production, distribution and sales across multiple geographical locations. IBM analysts see IoT data as the new source of value creation and economic growth. 

“More generally, we are witnessing a considerable transformation of IoT-engaged industries,” the report concludes. 

A digital world

Corporations are becoming more aware of the potential of these new technologies for improving efficiencies. “When the industry is moving towards a new digital world, it is important for companies to master the use of IT and ecommerce to better manage their own affairs and also to compete and thrive in the emerging digital economy,” says Benoy CS, director of the ICT practice at the India office of global consulting firm Frost & Sullivan. “This will call for a lot of investment into technology sectors from other industries that are getting transformed with digitisation.” 

He foresees particular opportunities for IT software and service companies. While traditional IT service hubs with some manufacturing base will continue to attract maximum investments, there will be a push by governments to promote manufacturing to support investment.

In the US, Oklahoma Department of Commerce head of FDI attraction Jennifer Springer explains that the best way for the state to recruit companies that are embracing the Industry 4.0 concept is to help build the workforce they need. “This is being done by working with tech centres, universities and industrial parks to create centres of innovation,” she says. 

Oklahoma has several entrepreneurial innovation centres where individuals with a concept can work with technical experts from Oklahoma’s universities to build a prototype through 3D printing or other automated process. The Oklahoma State University Institute of Technology at the MidAmerica Industrial Park has partnered with Google to operate an advanced technical training centre offering STEM (science, technology, engineering and mathematics) education.

“Aerospace and industrial manufacturing are our two biggest targets for FDI,” says Ms Springer.  

Germany steps up

Industry 4.0, first identified at the Hanover Messe industrial fair in 2011, began in Germany as an initiative to revive manufacturing competitiveness. In 2012, management at Robert Bosch and the German Academy of Science and Engineering presented a set of Industry 4.0 implementation recommendations to the German federal government, which were formally adopted in 2013. 

During several speeches at tech summits in 2014, German chancellor Angela Merkel clearly outlined a four-year Industrial 4.0 digital agenda, and called for a pan-European effort. Her government is investing €200m in Industry 4.0 research across government, academia and business. Tech and communications heavyweights involved include Deutsche Telekom, SAP and Siemens.

In the US, companies such as GE have proposed a US industrial internet platform, to be “the first data analytics platform that can manage large-scale industrial machines in the cloud”. GE has partnered with tech companies Amazon Web Services, Accenture and EMC’s Pivotal Initiative as well as AT&T, Cisco and Intel in efforts to include the platform in programmes such as Rail Connect 360 Monitoring and Diagnostics for transportation, Cloud Imaging for healthcare, and non-destructive Testing Remote Collaboration for oil and gas utilities.

Meanwhile, analysts predict newer economies with a promising pool of skilled workforce are also expected to receive sizeable investments in the years ahead. “The industrial supplier groups that are providing solutions to end-users are expected to be a key front for new FDI in emerging economies such as India, China and the rest of Asia,” says Karthik Sundaram, senior research analyst in Frost & Sullivan’s Moscow office. 

Promising territories

Mr Sundaram highlights two examples of initiatives directly or indirectly influenced by the Germany Industry 4.0 initiative. Make in India is a major national programme designed to facilitate investment, foster innovation, enhance skill development, protect intellectual property and build best-in-class manufacturing infrastructure in India. Made in China 2025 is an initiative to comprehensively upgrade Chinese industry. China’s Ministry of Industry and Telecommunication Technology, which drew up the plan, says the strategy is intended to give China an edge in innovation, green development and quality goods.

“The advanced economies of Europe and North America are touted as locations that are most ideal for Industry 4.0-related investments; however, we at Frost & Sullivan believe that the emerging economies of Asia are equally promising as investment destinations for Industry 4.0,” says Mr Sundaram. 

He stresses that while manufacturers in advanced economies have a compelling need to invest and transform their manufacturing facilities, the large spread of brownfield installations running legacy systems presents a huge roadblock for any process revamp. “Emerging economies such as China have less of a load to carry and are more open towards new greenfield investments that can be Industry 4.0-compliant,” says Mr Sundaram.

Proving this point is Siemens' announcement in September that it is investing €1bn in India, a market with a strong IT labour pool. This is the biggest investment from a European business conglomerate under the Make in India plan. 

Meanwhile, global market intelligence firm IDC forecasts that the IoT in Asia-Pacific (excluding Japan) will include 8.6 billion devices by 2020, and by this time will be worth $583bn, from its current annual market value of $250bn.

This article is sourced from fDi Magazine
fDi Magazine

 

 

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