WebJan 10, 2024 · Royalty:- payable to a non-resident by a company out of its foreign source income; Gains or profits:- derived from the sale of units, securities or debt obligations by a person; The first Rs 2.5 million of the aggregate amount received: -. As l ump sum by way of commutation of pension or by way of death gratuity or as consolidated compensation ... WebRevised Laws of Mauritius M44 – 3 [Issue 9] “tax” means a tax, duty, fee, levy or charge, or other sum leviable or payable to the State under a Revenue Law. [S. 2 amended by s. 16 (a) of Act 26 of 2012 w.e.f. 22 December 2012; s. 34 (a) of Act 18 of 2016 w.e.f. 1 October 2016.] PART II – THE AUTHORITY 3. The Authority
Mauritius : Statement Of Guidance On Income Subject To Partial ...
WebAug 3, 2024 · Section 1 Short title and commencement. (1) This Act may be called the Finance Act, 2024. Short title and commencement. (2) Save as otherwise provided in this Act,––. (a) sections 2 to 88 shall come into force on the 1st day of April 2024; (b) sections 108 to 123 shall come into force on such date as the Central Government may, by ... WebSize. act-58-1962s.pdf. 26.22 MB. 58 of 1962. The Income Tax Act 58 of 1962 intends: to consolidate the law relating to the taxation of incomes and donations. impacts of stress on health and wellbeing
Revised Laws of Mauritius - attorneygeneral.govmu.org
WebFeb 23, 2024 · The individual's domicile is in Mauritius, unless one’s permanent place of abode is outside Mauritius. Presence in Mauritius in that income year and the two preceding income years is for an aggregate period of 270 days or more. Presence in Mauritius is for a period of or periods amounting in the aggregate to at least 183 days in that income year. WebFeb 23, 2024 · Last reviewed - 23 February 2024. A corporation resident in Mauritius is subject to tax on its worldwide income. A non-resident corporation is liable to tax on any Mauritius-source income, subject to any applicable tax treaty provisions. Corporations are liable to income tax on their net income, currently at a flat rate of 15%. Web111H of the Income Tax Act, where the Director-General of the Mauritius Revenue Authority (“ the Director-General”) is satisfied that the payee would not be chargeable to tax on his income he may, on application by the payee, direct the payer not to withhold any tax on the payments made to the payee. 4 PwC Tax Times - December 2010 5 list t move item to first position