Nélio Weiss Philippe Jeffrey Back in 2003, two of Brazil's leading exporting companies had challenged the constitutionality of the applicability of the Social Contribution on Net Profits (CSLL) on income derived from export transactions, based on the modification of article 149 of the Brazilian Constitution by Constitutional Amendment – CA n° 33/2001. In that year, two Brazilian courts of first instance ruled that the export income was not subject to CSLL. As a general rule, Brazilian taxpayers are subject to a corporate income tax rate of 15%, plus income surtax of 10% on annual taxable income exceeding BRL 240,000, and also to CSLL, at the rate of 9% (usually referred as the combined 34% corporate tax rate).
November 01 2007