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On 1 January 2022, the CFC rules became effective in Ukraine. For the novelty of the concept and the imperfections of the underlying legislation, many provisions of the applicable CFC rules call for clarification, elaboration, or further guidance.
In this context, on 2 May 2023, the Parliament of Ukraine passed – in the first (of typically two) readings – Bill No. 8137 "On Amendments to the Tax Code of Ukraine with respect to Enhancement of the Taxation of Controlled Foreign Companies" ("Amending Bill"), aimed at addressing most pressing issues pertaining to the application and interpretation of the CFC rules. Since then, however, the Amending Bill has seen very little progress.
Rather, with its Information Letter No. 3/2024 of 17 April 2024 ("Letter"), the State Tax Service of Ukraine offered its guidance as regards the application of some of the CFC rules. The Letter is being issued in less than two weeks before the CFC reporting deadline.
With the Letter being largely aimed at offering guidance on the CFC rules provisions, it prescribes that:
Controlled Foreign Companies
Amending Bill
Tax Office's Guidance
Actions to consider
The CFC rules significantly affect most international corporate structures as well as available structuring alternatives. In light of the already effective and upcoming changes in taxation, you may wish to consider the following actions to mitigate possible transition stress:
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