FYR Macedonia: FYR Macedonia changes tax treatment of uncollected loans

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

FYR Macedonia: FYR Macedonia changes tax treatment of uncollected loans

kostovska.jpg

Elena Kostovska

The corporate income tax system in FYR Macedonia – since its groundbreaking revamping in 2011 – has been mostly concerned with the unrecognised (non-deductible) expenses of a company for the purposes of determining its tax base, as opposed to the actual profit of a company. However, within the past three years of the validity of this novel corporate income tax regime, and due to the resulting shrinking of the tax base of companies, the government and tax authorities are finding themselves in a constant loop of amendments aimed at widening the tax base by effectively introducing new categories in the so-called unrecognised expenses list.

Early in 2014, a change in the tax treatment of uncollected loan amounts was introduced. From January 31 2014, outstanding receivables' balances on loans granted from one resident entity to another, which haven't been collected within the same year that they were extended, are to be considered as written off during the year in question and to be thus regarded as unrecognised expenses for the loan-granting entity. Consequently, this results in the increase of the company's corporate income tax base. Thus, all inter-company loans extended after January 31 2014 are now subject to this change, with older loans not impacted by the amendment in any way.

It is worth noting that this change is only applicable to companies which are taxpayers in the sense of the standard corporate income tax regime (with 10% imposed on a tax base consisting of unrecognised expenses plus understated revenues plus any distributed profits) and does not impact companies which, due to their size, have opted to pay corporate income tax on a tax base of total revenue (at the rate of 1% on total revenues). Additionally, the above change impacts all inter-company loans, regardless of whether they are extended between related or unrelated entities.

One should keep in mind that, in addition to increasing the tax base in the year in which the loan receivables were not collected (thus increasing the amount of corporate income tax due), during the year in which loan receivables will in fact be collected, the tax base is to be decreased by the amount of the collection, thus enabling the taxpayer to pay less corporate income tax in the periods when they actually collect the loan amounts.

Elena Kostovska (elena.kostovska@eurofast.eu)

Eurofast Global, Skopje Office

Tel: +389 2 2400225

Website: www.eurofast.eu

more across site & shared bottom lb ros

More from across our site

The cuts disproportionately affected staff in certain positions, the report also found; in other news, MHA announced the €24m acquisition of Baker Tilly South East Europe
The plan aims to improve the efficiency, transparency, and effectiveness of direct tax administration in India
Meanwhile, South Africa’s finance minister has accepted a court decision on suspending a VAT increase and US President Donald Trump mulls a 100% tariff on foreign films
Jaime Carey speaks about the benefits of his tax background, DEI values, the use of AI for a smarter legal practice, and other priorities that will define his presidency
Historically low levels of attrition over consecutive years made a ‘difficult decision’ necessary, PwC has reportedly said
WTS Global is also vetting new potential member firms in Algeria, Cote D’Ivoire and Benin, Kelly Mgbor tells ITR in an exclusive interview
The scope of qualifying pillar two tax credits could reportedly be broadened; in other news, hundreds of IRS appeals staff are to resign
For many taxpayers, the prospect of long-term certainty that a bilateral APA offers can override concerns about time, cost and confidentiality
Levine, who served under the Joe Biden administration, led the US’s negotiations on the OECD’s two-pillar solution
The deal to acquire ITR's parent company is expected to complete by the end of May 2025
Gift this article