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Yield tax foreign interest

In a circular of the Ministry of Finance Paul. 1053/14/04/2009 stated: With the No. 1000193/11783/V0012/POL.1180/31-12-2008 explanatory circular of Law 3697/2008, it was assumed that if a natural person resident in Greece derives dividends from foreign corporation or interest from investments abroad and the proceeds of the collection remains abroad, the recipient of the dividends or interest should pay the tax due 10% off with a statement of the WHO which falls within the next by paying or credit interest month, providing the original proof of the foreign bank from which it is evident the amount of interest paid to him or that was credited to the account abroad, the tax withheld and the time of payment or credit. Details of the procedure should probably get the ISG, and whether this can be done if the monthly performance of interest.
Comments (1)
1 Tuesday, 03 August 2010 19:49
Auditor

Quote: 'providing the original proof of the foreign bank from which it is evident the amount of interest paid to him or that was credited to his account abroad'

Do you know what happens with regard to banking secrecy, often as the original proof of the bank usually indicates the amount of the deposit, which is not entitled to consult the Inland Revenue Service officer;