COMMISSION DECISION (EU) 2019/700
of 19 December 2018
on the State Aid SA.34914 (2013/C) implemented by the United Kingdom as regards the Gibraltar Corporate Income Tax Regime
(notified under document C(2018) 7848)
(Only the English text is authentic)
1. PROCEDURE
2. DESCRIPTION OF THE MEASURES
2.1.
Overall description of the Gibraltar corporate income tax system
(a)
Corporate taxpayers
(b)
Tax basis
(c)
Territorial basis
2.2.
Tax exemption for passive interest and royalty income
2.3.
Tax ruling practice
3. GROUNDS FOR INITIATING THE FORMAL INVESTIGATION PROCEDURE
3.1.
The passive interest and royalty income tax exemption
3.2.
The tax ruling practice
4. COMMENTS FROM THE UK
4.1.
Comments on the passive interest and royalty income tax exemption
4.2.
Comments on the tax ruling practice
5. COMMENTS FROM INTERESTED PARTIES
5.1.
Comments on the passive interest and royalty income tax exemption
5.1.1.
Comments from Gibraltar
5.1.2.
Comments from Spain, Germany and CEOE
5.2.
Comments on the tax ruling practice
5.2.1.
Comments from Gibraltar
5.2.2.
Comments from Spain
5.2.3.
Comments from the Gibraltar Society of Accountants
5.2.4.
Comments by or on behalf of companies listed as recipients of tax rulings in the Decision to Extend Proceedings
6. RESPONSE OF THE UNITED KINGDOM TO THIRD PARTY COMMENTS
6.1.
Comments on the passive interest and royalty income exemption
6.2.
Comments on the tax ruling practice
7. ASSESSMENT OF THE PASSIVE INTEREST AND ROYALTY INCOME EXEMPTION
7.1.
Existence of aid
7.1.1.
State resources and imputability to the State
7.1.2.
Advantage
7.1.3.
Selectivity
7.1.3.1.
System of reference
7.1.3.2.
Different tax treatment of companies in comparable situations
7.1.3.3.
Absence of justifications for the measure
7.1.3.4.
Conclusion on selectivity
7.1.4.
Potential distortion of competition and effect on intra-Union trade
7.1.5.
Conclusion on the existence of State aid
7.2.
New aid character of the measure
7.3.
Compatibility of the aid with the internal market
8. ASSESSMENT OF THE TAX RULING PRACTICE IN GIBRALTAR
8.1.
Introduction
8.2.
The unproblematic tax rulings
8.3.
The contested tax rulings
Gibraltar company |
Interest in C.V. (%) |
2014 |
2015 |
2016 |
|||
Profit of the CV (interest and royalties) (USD) |
Proportion of CV's profit (Profit × interest %) (USD) |
Profit of the CV (interest and royalties) (USD) |
Proportion of CV's profit (Profit × interest %) (USD) |
Profit of the CV (interest and royalties) |
Proportion of CV's profit (Profit × interest %) |
||
MJN Holdings (Gibraltar) Ltd |
99,99 |
330 819 000,00 |
330 785 918,10 |
254 354 000,00 |
254 328 564,60 |
232 398 464,00 USD |
232 375 224,15 USD |
Heidrick & Struggles (Gibraltar) Holdings Ltd |
95,00 |
1 290 000,00 |
1 225 500,00 |
586 000,00 |
556 700,00 |
25 682 000,00 USD |
24 397 900,00 USD |
Heidrick & Struggles (Gibraltar) Ltd |
5,00 |
1 290 000,00 |
64 500,00 |
586 000,00 |
29 300,00 |
25 682 000,00 USD |
1 284 100,00 USD |
Ash (Gibraltar) One Ltd |
98,79 |
– 3 053 497,00 |
– 3 016 549,69 |
3 860 930,00 |
3 814 212,75 |
1 785 671,00 EUR |
– 1 764 064,38 EUR |
Ash (Gibraltar) Two Ltd |
1,21 |
– 3 053 497,00 |
– 36 947,31 |
3 860 930,00 |
46 717,25 |
1 785 671,00 EUR |
– 21 606,62 EUR |
8.3.1.
Existence of aid
8.3.1.1.
Conditions for assessing State aid
8.3.1.2.
Selective advantage
8.3.1.3.
Conclusion on the existence of a selective advantage
8.3.1.4.
Conclusion on the existence of aid
8.3.2.
Beneficiaries of the aid
8.3.3.
New aid character of the measures
8.3.4.
Compatibility of the aid with the internal market
8.4.
Absence of an aid scheme
9. UNLAWFULNESS OF THE AID
10. RECOVERY OF THE AID
10.1.
Recovery of the aid granted through the exemption
10.2.
Recovery of the aid granted to the five Gibraltar companies in relation to their participation in Dutch CVs
11. LEGISLATIVE AND REGULATORY AMENDMENTS ENACTED BY GIBRALTAR
12. CONCLUSION
Article 1
Article 2
Article 3
Article 4
Article 5
Article 6
Article 7
Article 8
ANNEX
Company Name |
Granting Date |
Description of the activities |
Classification of Ruling (in light of Section 8.2.1) |
||
|
7.1.2011 |
Services, management consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.1.2011 |
Services, shipping intermediary |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.1.2011 |
Trade, sale of petroleum products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.1.2011 |
Trade, sale of petroleum products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.1.2011 |
Trade, importation of furniture |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.1.2011 |
Trade, importation of furniture |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.1.2011 |
Holding company, licensing intellectual property |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
12.1.2011 |
Trade, manufacture and sale of CDs |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.1.2011 |
Holding company, licensing intellectual property |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
14.1.2011 |
Trade, income from rents |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
28.1.2011 |
Trade, provision of mail forwarding |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
31.1.2011 |
Holding of assets, property (aircraft) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
4.2.2011 |
Beneficiary in a trust |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
7.2.2011 |
Provision of loan(s) |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
7.2.2011 |
Trade, marketing services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.2.2011 |
Trade, sports agent |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
21.2.2011 |
Trade, provision of asset managers |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
25.2.2011 |
Trade, sale of medical products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
25.2.2011 |
Trade, marketing |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
25.2.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
25.2.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
25.2.2011 |
Trade, yacht chartering |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
28.2.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.3.2011 |
Holding of property and consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
4.3.2011 |
Investment holding company |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
9.3.2011 |
Trade, management of shipping line |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
15.3.2011 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
15.3.2011 |
Trade, marketing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
15.3.2011 |
Trade, marketing and sales, training |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
15.3.2011 |
Trade, distribution of products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
15.3.2011 |
Trade, marketing and sales, training |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
15.3.2011 |
Trade, marketing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
16.3.2011 |
Investment holding company |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
16.3.2011 |
Trade, management services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
18.3.2011 |
Holding intellectual property rights |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
21.3.2011 |
Services, consultancy and advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
22.3.2011 |
Asset holding company, motor yacht |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
24.3.2011 |
Trade, storage and handling of petroleum |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
24.3.2011 |
Trade, motors |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
25.3.2011 |
Provision of loan(s) |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
25.3.2011 |
Services, consultancy and advisory |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
28.3.2011 |
Trade, marketing services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
28.3.2011 |
Trade, marketing services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
28.3.2011 |
Holding, intellectual property |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.3.2011 |
Investment holding |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
1.4.2011 |
Trade, advertising |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
1.4.2011 |
Holding of patents and trademarks |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
1.4.2011 |
Group Holding |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.4.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.4.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.4.2011 |
Trade, sale of agricultural products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
5.4.2011 |
Holding, company shares |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
7.4.2011 |
Services, consultancy and advisory |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
7.4.2011 |
Services, consultancy and advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.4.2011 |
Services, consultancy and advisory |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
11.4.2011 |
Services, consultancy and advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
14.4.2011 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
14.4.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
4.5.2011 |
Trade, bareboat chartering |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
6.5.2011 |
Trade, marketing services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
6.5.2011 |
Trade, marketing services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
6.5.2011 |
Trade, sale of agricultural products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
6.5.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
9.5.2011 |
Services, management and consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.5.2011 |
Services, provision of trustees |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.5.2011 |
Services, provision of trustees |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.5.2011 |
Investment holding |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
11.5.2011 |
Investment holding |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
11.5.2011 |
Trade, supply of oil and gas equipment |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.5.2011 |
Services, consultancy and advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.5.2011 |
Services, consultancy and advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
17.5.2011 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
19.5.2011 |
Property and investments holding |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
20.5.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
20.5.2011 |
Trade, gaming |
Ruling related to personal income tax and does not involve a company subject to corporate income tax |
||
|
23.5.2011 |
Trade, online flower and gift retailer |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
23.5.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.6.2011 |
Asset holding, motor yacht |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.6.2011 |
Asset holding, motor yacht |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
1.6.2011 |
Group Holding |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
2.6.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
2.6.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
2.6.2011 |
Provision of loan(s) |
Contested ruling |
||
|
2.6.2011 |
Provision of loan(s) |
Contested ruling |
||
|
8.6.2011 |
Trade, marketing, sales and research |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
8.6.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
9.6.2011 |
Trade in Gibraltar |
Ruling related to personal income tax and does not involve a company subject to corporate income tax |
||
|
15.6.2011 |
Trade in Gibraltar |
Ruling related to personal income tax and does not involve a company subject to corporate income tax |
||
|
16.6.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
24.6.2011 |
Trade, buying and selling of clothing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
30.6.2011 |
Services, consultancy and marketing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
5.7.2011 |
Services, consultancy |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
5.7.2011 |
Asset holding, motor yacht |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.7.2011 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.7.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
12.7.2011 |
Trade, currency exchange |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
13.7.2011 |
Investment holding |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
13.7.2011 |
Services, consultancy and marketing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
14.7.2011 |
Provision of loan(s) |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
22.7.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
5.8.2011 |
Trade, marketing |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.8.2011 |
Group Holding |
Ruling related to personal income tax and does not involve a company subject to corporate income tax |
||
|
17.8.2011 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
14.9.2011 |
Holding intellectual property |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
14.9.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
14.9.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
30.9.2011 |
Services, consultancy and loan interest |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
6.10.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
6.10.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
6.10.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
6.10.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
8.11.2011 |
Services, management advisory |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
16.11.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
22.11.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
24.11.2011 |
Trade, sale of earth moving products |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.11.2011 |
Services, administrative support |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
16.12.2011 |
Services, consultancy football agent |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
16.12.2011 |
Trade, sailing tuition and yacht charters |
Effectively subject to tax. Income accrued and derived in Gibraltar and therefore taxable in Gibraltar |
||
|
16.12.2011 |
Services, administrative support |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
20.12.2011 |
Subsidiary company |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
22.12.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
22.12.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
22.12.2011 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
3.1.2012 |
Trade, truck and trailer rental |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
16.1.2012 |
Trade, Sale of IT materials |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
3.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
3.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
3.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
20.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
20.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
20.2.2012 |
Provision of loan(s) |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
||
|
2.3.2012 |
Trade, fees and commissions on payments |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.3.2012 |
Trade, oil well drilling rig (charter) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.3.2012 |
Trade, oil well drilling rig (charter) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.3.2012 |
Trade, oil well drilling rig (charter) |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
29.3.2012 |
Trade, oil well drilling rig (charter) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
29.3.2012 |
Trade, oil well drilling rig (charter) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
3.5.2012 |
Services, provision of engineers |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
8.5.2012 |
Subsidiary of chemical company |
Contested ruling |
||
|
8.5.2012 |
Subsidiary of chemical company |
Contested ruling |
||
|
12.6.2012 |
Holding intellectual property |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
21.8.2012 |
Trade, company incorporation |
Effectively subject to tax. Income accrued and derived in Gibraltar and therefore taxable in Gibraltar |
||
|
21.8.2012 |
Trade, company incorporation |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
11.9.2012 |
Subsidiary in group structure |
Contested ruling |
||
|
9.10.2012 |
Trade, provision of trust services |
Effectively subject to tax. Income accrued and derived in Gibraltar and therefore taxable in Gibraltar |
||
|
4.1.2013 |
Trade, software development |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.2.2013 |
Trade, online broker |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
12.4.2013 |
Holding intellectual property |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
22.4.2013 |
Trade, marketing and advertising |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
22.4.2013 |
Trade, website portals |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
22.4.2013 |
Holding company shares |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
22.4.2013 |
Trade, website portals |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
22.4.2013 |
Trade, website portals |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.5.2013 |
Holding intellectual property |
Company was not incorporated, activities did not materialise or the company was dormant |
||
|
21.5.2013 |
Trade, buying, importing and exporting |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
10.6.2013 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
||
|
24.6.2013 |
Trade, master policy insurance cover |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
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|
24.6.2013 |
Holding intellectual property |
Passive income exemption. Situation regularised after legislative changes or activities ceased. |
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|
28.6.2013 |
Provision of loan(s) |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
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|
2.8.2013 |
Trade, industrial manufacturing |
Company was not incorporated, activities did not materialise or the company was dormant |
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|
22.11.2013 |
Services, provision of consulting intra-group services |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
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|
20.12.2013 |
Services, management of domain sales |
Application of territoriality principle. No income accrued in or derived from Gibraltar. |
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|
23.12.2013 |
Trade, supply of merchandise |
Company was not incorporated, activities did not materialise or the company was dormant |
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|
23.12.2013 |
Employee |
Ruling related to personal income tax and does not involve a company subject to corporate income tax |
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|
23.12.2013 |
Trade, provision of digital products such as online training courses |
Effectively subject to tax. Income accrued and derived in Gibraltar and therefore taxable in Gibraltar |
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Note: the numbering of the companies follows the numbering of the annex of the decision to extend proceedings. For the sake of completeness, the table includes the five contested tax rulings with numbers 83, 84, 139, 140 and 144. |