Russia Clarifies Taxation of Interest Paid by a Permanent Establishment to a Non-Resident Company
The Russian Ministry of Finance recently published guidance letter 03-08-13/62064 regarding the taxation of interest income paid by a Russian permanent establishment (PE) of a foreign company in favor of another foreign company, without a PE in Russia, that provided loans to the PE for the purpose of carrying out activities in Russia. The letter provides that in accordance with the current prov…
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