SCHEDULE
Article 2
SCHEDULE
PART 1
Jurisdiction | UK Non-devolved |
2016 No. 753
Capital Gains Tax
Corporation Tax
Income Tax
The Double Taxation Relief and International Tax Enforcement (Uruguay) Order 2016
Made 13th July 2016
At the Court at Buckingham Palace, the 13th day of July 2016
Present,
The Queen’s Most Excellent Majesty in Council
A draft of this Order was laid before the House of Commons in accordance with section 5(2) of the Taxation (International and Other Provisions) Act 20101and section 173(7) of the Finance Act 20062and approved by the resolution of that House.
Accordingly, Her Majesty, in exercising the powers conferred upon Her by section 2 of the Taxation (International and Other Provisions) Act 2010 and section 173(1) of the Finance Act 2006, by and with the advice of Her Privy Council, orders as follows—
Citation
1. This Order may be cited as the Double Taxation Relief and International Tax Enforcement (Uruguay) Order 2016.
Double taxation and international tax enforcement arrangements to have effect
2. It is declared that—
(a) the arrangements specified in the Convention and Protocol set out in the Schedule to this Order have been made with the Government of the Oriental Republic of Uruguay,
(b) the arrangements have been made with a view to affording relief from double taxation in relation to capital gains tax, corporation tax and income tax and taxes of a similar character imposed by the laws of Uruguay and for the purposes of assisting international tax enforcement, and
(c) it is expedient that those arrangements should have effect.
Ceri King
Deputy Clerk of the Privy Council
SCHEDULE
Article 2
SCHEDULE
PART 1
EXPLANATORY NOTE
(This note is not part of the Order)
The Schedule to the Order contains a Convention and Protocol (“the Arrangements”) between the Government of the United Kingdom of Great Britain and Northern Ireland and the Government of the Oriental Republic of Uruguay dealing with the avoidance of double taxation and the prevention of fiscal evasion. The Order brings the Arrangements into effect.
The Arrangements aim to eliminate the double taxation of income and gains arising in one country and paid to residents of the other country. This is done by allocating the taxing rights that each country has under its domestic law over the same income and gains, and/or by providing relief from double taxation. There are also specific measures which...
To continue reading
Request your trial