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Acumum – Legal & Advisory

News

Home / News / News
07Nov

MALTA’S BANKING SYSTEM SOUND – DON’T COMPARE TO CYPRUS – FITCH

7 November 2015 Acumum Legal & Advisory News 12

Fitch, the international credit rating agency has released a report stating that Malta’s banking system is sound and should not be compared to Cyprus. Following the crisis in Cyprus, much has been said in recent news articles, comparing the situation in Cyprus to the economy and banking system in Malta.

Malta has the 13th soundest banking system in the world according to the World Economic Forum – this has recently been further backed by Fitch’s recent report, which has given Malta ‘A+’ with a Stable Outlook rating.  Comparisons between the two countries are misleading and confusing.

Please go here to read the Fitch Report.

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07Nov

Acumum Sponsors International Taxation Conference

7 November 2015 Acumum Legal & Advisory News 12

As part of its commitment to continued education and best practice, Acumum is a sponsor Malta Instiute of Managementof the Malta Institute of Management’s International Taxation Conference.

Acumum’s Managing Partner Geraldine Noel says “We are delighted to be a sponsor of this prestigious event and strengthening our close ties with the Malta Institute of Management.  Both of Acumum’s lawyers and accountants are committed to excellence in knowledge, which by sponsoring and attending events such as this, our clients can be assured in up to date and relevant knowledge and best practice”

For more information about the conference, please visit the Malta Institute of Management’s site: http://www.maltamanagement.com/2013/03/international-taxation-conference-2013/

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07Nov

Acumum Shortlisted: Investment Funds Firm of the Year – Malta

7 November 2015 Acumum Legal & Advisory News 11

Acumum is pleased to announce that it has been shortlisted by Global Finance Monthly Global Awards 2013, in the Investment Funds Firm of the Year – Malta

Investment Funds Firm of Year

“We are tremendously pleased to be shortlisted for the Investment Funds Firm of the Year – Malta by such a prestigious publication.  I would like to thank everyone that voted for us. It is a vindication of all of our hard work since launching in 2012″ states Managing Partner, Geraldine Noel.

For further information about the awards, please visit:  http://www.finance-monthly.com/Awards

More Information:

Financial Services, Insurance, Funds, Malta Trading Companies & Holding Companies, Highly Qualified Persons Programme

About Acumum – Legal & Advisory

Acumum Legal & Advisory is a well-established set of multidisciplinary legal, tax and accounting firms located and managed in the tax efficient EU jurisdiction of Malta. It operates as a full service law firm with services including aviation, corporate formation, accounting, estate & wealth planning, taxation, intellectual property and more. The firm is overseen by Geraldine Noel, a British barrister – registered in Malta, working alongside an expert team of lawyers and accountants with extensive specialist commercial and private client expertise, particularly to an individual, corporate and family office clientele.

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07Nov

UK COURT OF APPEAL: SAMSUNG WINS OVER APPLE ‘OVER WIDE’ PATENT CLAIMS

7 November 2015 Acumum Legal & Advisory News 9

Samsung wins Patent Claim over Apple

18 / Sept 2012.  Samsung & Apple Battle of the Patents – in a move that follows a number of jurisdictions – barring Apples home court of California and Germany, the UK High Court in a decision handed down yesterday, rules that although there is indeed similarity between Samsung’s tablet and Apple’s patents, there is no actual infringement.

This is a victory over stifling patent’s that hinder legitimate innovation. Sir Robin Jacob criticised Apples ‘over wide’ patent claims.  Full judgement can be found at:  http://www.bailii.org/ew/cases/EWHC/Patents/2012/1882.html.

UK: With the UK’s specialised technology, patent and now small patent track, the UK Court system provides a faster and more cost effective  mode of dealing with technology and intellectual property claims.

Malta: 0% tax on patent and artistic royalties, makes Malta a tax efficient jurisdiction for IP holding companies.

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07Nov

ACUMUM TO EXHIBIT AT LONDON PATENT SUMMIT 2012

7 November 2015 Acumum Legal & Advisory News 10

Acumum is pleased to announce that they shall be an exhibitor at the prestigious London Patent Summit 2012, which is to be held at the London Stock Exchange 8-12 October 2012.

Acumum will be using the opportunity to detail its lawyer’s expertise and the services it offers in respect of intellectual property. In particular intellectual property registration and portfolio maintenance, tax efficient royalty routing and structuring – trading and holding companies.

With Malta offering 0% tax exemptions for patent and artistic royalties, utilising Malta companies in the structuring of tax efficient structures offers intellectual property owners, venture capitalists, start-ups and companies with large intellectual property portfolios, as well as artistic individuals – actors, musicians, sports persons – a superb opportunity to best leverage and retain earnings as part of a  strategic monetisation plan.

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07Nov

Malta Office Move

7 November 2014 Acumum Legal & Advisory News 14

Acumum moves Malta Office

We are pleased to announce that due to our requirement for additional and improved office space, that we have completed our move to our new office.

With the move comes the added ability tor us to better service our clients with increased technological resources and a wider service offering.

Associated with the first barristers chambers registered in Malta and in addition to our personalised legal & advocacy, taxation & accounting services, we are now able to offer expanded legal process outsourcing (LPO)opportunities & compliance add-ons.

Centrally managed in Malta, as a lean organisation, we decided to move to premises that would allow us to expand whilst being conscious of cost control, allowing us to remain price competitive – we believe we have achieved this.

Our new address is easy to locate and is convenient for clients both within Malta and those flying in.

260 Triq San Albert, Gzira, 1150, Malta (EU)

Malta Tax Treaties | Corporate & Company Formation | Malta Holding Companies Taxation 

Aviation | Financial Services  | Gaming | Intellectual Property

Acumum – Legal & Advisory – Malta’s International Law Firm

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07Jan

USA – Malta Tax Treaty

7 January 2011 Acumum Legal & Advisory News 17

USA – Malta Tax Treaty: In Force – 1st January 2011

The Convention for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with respect to Taxes on Income between the USA and Malta (‘Tax Treaty’) was signed by both countries in August 2008. Instruments of ratification were exchanged on 23 November 2010, following which it came into force on 1st January, 2011.
To read the Tax Treaty, please go here
Mainly based on the Organisation for Economic Cooperation and Development (‘OECD’) Model Tax Convention and the US Model Treaty, the Tax Treaty is intended to eliminate barriers to cross border trade and investment while preventing tax avoidance.
It is designed to ensure that US and Maltese citizens are taxed only once on their profits and income, and to limit withholding payments on dividends, royalties and other unearned income.
With respect to active income, generally in line with the OECD model articles, the US and Maltese authorities shall not tax business profits derived from sources within their countries by residents of the other country unless business activities by the foreign person or business constitute a permanent establishment. Furthermore, residents of one country providing services in the other also are not subject to tax in that country as long as their activities do not exceed specific minimums.
With respect to passive income, the Double Tax Agreement contains provisions dealing with reduced source-country withholding tax on dividend, interest, and royalty payments:
  • Cross-Border Dividend Payments: dividends paid by a resident of the United States which are beneficially owned by a resident of Malta are subject to source country taxation at a maximum rate of 15%. However, where the beneficial owner of the dividend directly owns 10% or more of the voting power of the payor, such rate is reduced to 5%. With respect to dividends paid by a resident of Malta which are beneficially owned by a resident of the United States, the tax charged by Malta on the gross amount of the dividends shall not exceed that Malta tax chargeable on the profits out of which the dividends are paid (there is generally no withholding tax on Malta-source dividends as a matter of Maltese domestic law). Furthermore, dividends paid by a resident of one Contracting State which are beneficially owned by a pension fund that is a resident of the other Contracting State are exempt from source country taxation, so long as such dividends are not derived from a trade or business carried on by the pension fund or through an associated enterprise.
  • Cross-Border Interest Payments: under the USA – Malta Tax Treaty, interest paid by a resident of one Contracting State which is beneficially owned by a resident of the other cntracting State is generally subject to source country taxation at a maximum rate of 10%. However, interest arising in the United States that is contingent interest which does not qualify as “portfolio interest” for U.S. federal income tax purposes may be subject to U.S. tax at a rate of 15%. In addition, interest that is an excess inclusion with respect to a residual interest in a Real Estate Mortgage Investment Conduit (REMIC) may be taxed by each Contracting State in accordance with its domestic law.
  • Cross-Border Royalty payments: the USA – Malta Tax Treaty limits the source country taxation of royalties arising in one Contracting State which are beneficially owned by a resident of the other Contracting State to 10%. The royalty concept extends to gains on alienation of qualifying intangible property to the extent that “such gain is contingent on the productivity, use or disposition of the property”.
Under the USA – Malta Tax Treaty, pensions and similar payments are generally taxable only in the residence state. Furthermore, the residence country generally has exclusive entitlement to tax gains on alienation of property. However, special rules apply in the case of for instance, transfers of immovable property, business property of a Permanent Establishment, containers or ships or aircraft used in international traffic.
For a company to qualify for treaty benefits, it must satisfy one of the Limitation of Benefit article tests, including a publicly traded test, an active trade or business test and an ownership and base erosion test.
The Double Tax Agreement also includes comprehensive and far reaching provisions allowing for full exchange of information between the US and Maltese revenue authorities.
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