02 January 2019 Jordan amends Income Tax Law The Jordanian Parliament has approved modifications to Jordan's current Income Tax Law No. 34 of 2014. The modifications were published in the Official Gazette on 2 December 2018 with an effective date of 1 January 2019, putting into effect Jordan's new Income Tax Law No. 38 of 2018 (the New Income Tax Law). The New Income Tax Law affects a broad range of tax aspects applicable to corporations and individuals. This includes changes to corporate income taxes, withholding taxes, personal income taxes, penalties, and taxation in the Development Zones and Free Zones. The New Income Tax Law also imposes a new national contribution tax that will be levied upon the income of corporations and certain high-earning individuals in conjunction with income taxes. The New Income Tax Law maintained the current tax rates for most sectors, except for companies engaged in certain industrial activities. Under the New Income Tax Law, certain industrial activities which were previously taxed at a flat rate of 14% will now be subject to varying tax rates that will gradually increase with the passage of time as shown in the table below:
Furthermore, activities in the agricultural sector that were previously tax-exempt will now be subject to tax at a rate of 20% as follows:
For completeness, the tax rates applicable to the remaining sectors which were kept the same are as follows:
Under the current Jordanian Investment Law No. 30 of 2014 (the Investment Law), income generated by an entity registered in the Development Zones in respect of activities undertaken inside the Development Zone is subject to a unified tax rate of 5%. However, the New Income Tax Law modifies the tax rates applicable to entities operating in the Development Zones depending on the source of the income, as follows:
Under the Investment Law, entities registered in the Free Zones benefited from a tax exemption in respect of income earned from: (i) activities conducted within the borders of the Free Zones; (ii) the export of goods and services outside the Kingdom; and (iii) transit trade. However, under the New Income Tax Law, profits earned by entities registered in the Free Zones that undertake an industrial activity or any other activity pertaining to the sale, disposal, or importation of goods and services within the borders of the Free Zones will now be subject to tax based on the normal income tax rates applicable to each entity depending on its status (corporation or individual). The New Income Tax Law does not remove the tax exemptions applicable to the export of goods and services outside the Kingdom and transit trade; therefore, these tax exemptions should continue to apply. A new national contribution tax will now be imposed on the taxable income of all corporations in Jordan, with the resulting additional tax collections designated to paying off the national debt. The national contribution tax rates vary from 1% to 7% and will be levied in conjunction with the standard corporate income tax as shown in the table below.
Capital gains realized from the transfer of shares by a corporate entity will be subject to the applicable corporate income tax rate depending on the type of activity in which the company engages. In addition, except for the first sale, capital gains derived from the sale of shares of Information Technology companies and institutions that deal with creating, processing, and storing information using electronic means and software are subject to tax at the applicable corporate income tax rate if the sale occurs after the lapse of 15 years from the date of establishment of such companies. The mechanism for application of this tax, including the tax rate, is expected to be clarified in forthcoming instructions. Under the New Income Tax Law, dividends received by banks, main telecommunication companies, basic mining companies, insurance companies, reinsurance companies, financial intermediary companies, financial companies, and legal persons engaged in financial leasing activities will be taxable at the corporate income tax rate that corresponds to the recipient's industry. However, if a company owns at least 10% of another company's capital, distributions of profits will be subject to tax at a rate not exceeding 10%. Distributions to other shareholders will remain exempt from tax. The New Income Tax Law is silent on whether profit distributions made by a branch to its foreign head office will be subject to tax. According to the New Income Tax Law, the Income and Sales Tax Department (ISTD) may apply, on a deemed basis, a tax retention of at least 1% of the sales proceeds or revenues of any taxpayer whose sales or revenues do not exceed JOD150,000 in a tax year. The interpretation and treatment of this principle should be elaborated in forthcoming instructions. In addition, if a partnership does not maintain proper accounting books and records and audited financial statements, the ISTD will deem a corporate income tax liability at a minimum of JOD500. The New Income Tax Law makes income generated from the electronic trade in goods and services one of the sources of income taxable in Jordan. Under the New Income Tax Law, a 3:1 debt-to-equity ratio rule will apply to related-party debt. Accordingly, interest paid on related-party debt exceeding this ratio will not be deductible for tax purposes. The withholding tax rate applicable to interest paid by banks to corporate depositors, except for interest on local interbank deposits, has increased from 5% to 7%. For natural persons, the withholding tax rate applicable remains at 5%. The New Income Tax Law has reduced the amount of exemptions available to natural persons and adjusted the treatment of the end of service benefit and pension in arriving at taxable income. Furthermore, modifications have been made to the tax brackets and rates applicable when calculating the personal income tax liability, and a new national contribution tax has been introduced and made applicable to the net income of high-earning individuals.
The New Income Tax Law changes the tax treatment of the end of service benefit (EOSB) paid to an employee upon termination of service as follows:
In addition, the New Income Tax Law exempts from tax the first JOD2,500 of an individual's monthly pension.
A new national contribution tax at a rate of 1% will now be imposed on the taxable income of natural persons exceeding JOD200,000.
The New Income Tax Law increases the penalties and the imprisonment period pertaining to the recurrent understatement of income by taxpayers.
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