The European Union Anti-Tax Avoidance Directives Implementation Regulations, S.L.123.187 have introduced new concepts into domestic tax legislation, two of which are the interest limitation rule and the controlled foreign company rule. As a result of these rules, taxpayers could be required to complete additional schedules when completing their tax return.

Objectives

Objectives

Introduction to the general principles

Introduction to the general principles

Awareness of key issues faced by taxpayers when completing their tax return

Awareness of key issues faced by taxpayers when completing their tax return

Event Agenda

11:00 - 12:30

Topics
  • Introduction
  • Interest limitation rule – TRA 111
  • Controlled foreign company rule – TRA 112
  • Q&A session
  • Introduction
  • Interest limitation rule – TRA 111
  • Controlled foreign company rule – TRA 112
  • Q&A session

Speakers

Mr Christian Vella

Mr Christian Vella

Pricing & Registration

€10 - €40

Participation Fee

  • MIA Members: €20.00
  • Non-MIA Members: €40.00
  • Retired Members: €10.00
  • Students: €15.00

The Institute is now accepting payments via Paypal

  • MIA Members: €20.00
  • Non-MIA Members: €40.00
  • Retired Members: €10.00
  • Students: €15.00

The Institute is now accepting payments via Paypal

Contact Us

Dorianne Formosa