Chile aiming to join era of indirect tax on digital services

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

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

Chile aiming to join era of indirect tax on digital services

Sponsored by

sponsored-firms-pwc.png
3-digital-tax-570.jpg

As a rule, remuneration for services – digital or otherwise – rendered by a non-resident non-domiciled in Chile to Chilean taxpayers are subject to a withholding tax, with rates of up to 35% over the full paid amount depending on the type of service.

The tax is withheld, declared, and paid by the payer of the remuneration, independent of the means of payment.

Considering the number of users and different types of digital services (with various applicable rates), the Chilean tax system has a substantial flaw in how to control the compliance of such taxes; the investment required to assess every user and their payments exceeded the possible gains from such an assessment.

Enter the indirect tax on digital services.

A major tax bill was presented in Parliament on August 23 2018, entitled Modernisation of Tax Legislation. The bill proposes an assortment of changes, including a tax on digital services, which aims to resolve the abovementioned issues.

The proposed tax is characterised as a specific, indirect, and substitute tax, meaning that it only applies to a particular sector of the economy (i.e. digital services); the burden is easily passed on to consumers; and the tax replaces any other applicable tax, direct or indirect.

The tax rate is 10%, applicable to the full price paid by the consumer, and it is established by law that the withholding agent is the issuer of the electronic means of payment, i.e. the credit card issuer or online payment service provider.

Digital services means any digital intermediation activity between users and service providers (even if the final service is not digital), digital entertainment services (images, movies, videos, music, or games), marketing, and data storage (cloud storage).

The tax on digital services will coexist with the withholding tax exemption on standard software already present in Chilean legislation, and it remains to be seen how the Chilean IRS will apply it, especially considering that in their rulings, they have said that software-as-a-service benefits from the standard software exemption.

more across site & shared bottom lb ros

More from across our site

Shiny new offices like Ryan’s in London Bridge aren’t just a cost – they signal that a firm is willing to align with its clients’ interests
Darren Graves will succeed Richard Houston, who is set to lead Deloitte EMEA; in other news, Morgan Lewis hired a three-partner tax team in New York
India also signed its first-ever bilateral APAs with France, Ireland, Indonesia and Sweden last year, the CBDT revealed
Chile’s revamped GAAR marks a shift toward structural scrutiny, pushing MNEs to strengthen tax governance, economic substance and compliance strategies
New reforms represent the most seismic shift in Canadian TP legislation since its enactment and a clear inflection point for MNEs, ITR has heard
Spain did not transpose EU VAT rules for SMEs or works of art; in other news, an increased VAT threshold came into force in South Africa
While the IBS incorporates taxable events previously covered by state and municipal taxes, its governance and operational logic represent a significant departure from the legacy model
The new office on the fourth floor of 4 More London will span 14,230 square feet, with the potential to expand to the first and second floors
MNEs now face a shift from modelling to execution as the side‑by‑side deal forces tax teams to upgrade systems, harmonise data, and prevent costly pillar two mismatches
As recent surveys suggest a disconnect between AI adoption and employee engagement, the big four risk digging themselves into a strategic hole
Gift this article