Albania: DTA between Albania and Iceland becomes effective
International Tax Review is part of the Delinian Group, Delinian Limited, 4 Bouverie Street, London, EC4Y 8AX, Registered in England & Wales, Company number 00954730
Copyright © Delinian Limited and its affiliated companies 2024

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

Albania: DTA between Albania and Iceland becomes effective

Asllani-Ndreka-Dorina

Dorina Asllani Ndreka

Albania and Iceland signed an agreement for the avoidance of double taxation and the prevention of tax evasion regarding income tax (DTA) on September 26 2014, which was ratified by both countries and entered into force on January 6 2016. Under the treaty provisions, its general implementation has begun as of January 1 2017.

The treaty is the first of this kind between the two countries double taxation of income tax and tax evasion in both countries. The treaty will also be applied to any similar or identical tax that may be imposed in the future by the partner countries.

The agreement creates the legal framework for the information exchange and the cooperation between tax authorities of both countries, as a guarantee for the implementation of the agreement provisions.

The taxes covered in the treaty include personal income tax, corporate profit tax and tax on small business activities in Albania. Whereas, in Iceland, it covers the state income tax and the municipalities' income tax. The competent authorities of both countries will notify each other for any essential change regarding their tax legal framework.

A permanent establishment, as defined by the DTA, will include any construction/building/installation project (or related supervisory activities), the duration of which exceeds six months in a 12-month period. The same duration rule is applicable to the provision of services through personnel engaged for such purpose (aggregate duration exceeding six months).

The withholding tax rate for dividends has been defined as 10% in all cases, except in those cases where there is at least 25% ownership in which case a 5% rate will apply. The standard 10% rate will also apply to interest and royalties payments.

In case a resident of one of the contracting states has income, which in accordance to this treaty's provisions may be taxed in the other contracting state, then the first contracting state will allow a deduction from the resident's tax liability. The deduction is equal to the tax amount paid for this specific income in the other state. However, such a deduction will in no case exceed the income tax calculated before the deduction.

Albania and Iceland are trying to revive their commercial relations. Albania has signed the free trade agreement with EFTA countries, which includes Iceland. The DTA will be of additional help in achieving this objective.

Dorina Asllani Ndreka (tirana@eurofast.eu)

Eurofast

Tel: + 355 (0) 42 248 548

Website: www.eurofast.eu

more across site & bottom lb ros

More from across our site

The UK is also lagging behind other countries in use of technology for compliance purposes, Christiaan Van Der Valk argues
As a new agreement between India and Mauritius may unsettle foreign investment, Sanjay Sanghvi and Avin Jain of Khaitan & Co examine the possible impact and offer potential solutions
A vast majority of corporates – especially smaller businesses – rely on a trusted referral when instructing external counsel, according to a survey of nearly 29,000 in-house counsel
It comes as the US remains uncommitted to the pillar two rules; in other news, ‘Bitcoin Jesus’ faces charges over tax evasion and false tax returns
The US is capitalising on a fertile deals market to take centre stage in tax talent recruitment, according to insights from ITR+’s Talent Tracker
The EU’s CBAM is a considerable compliance task for any in-scope companies. As payments loom for many businesses from 2026, tax departments will need to step up and take the lead
The firm also pledged to boost its commitment to AI and reinventing clients’ business models
High-earning businesses place most value on the depth of the external legal teams advising them, according to a survey of nearly 29,000 in-house counsel
Pillar two is bound to create a compliance challenge for clients, but the desirability of tax professionals has never been higher, the ITR forum heard
Laura Hinton would have been the first-ever woman in that position
Gift this article