13 January 2025 Americas Tax Roundup | 13 January 2025 | | A weekly summary of the top weekly tax news, trends and developments in the Americas | | | | | | | | | | This week's tax news from the Americas - Argentina eliminates the Impuesto PAIS
After being in force for five years, Argentina’s tax on some purchases of foreign currency used to pay for certain goods and services abroad (Impuesto PAIS) was repealed as of 23 December 2024. While the Impuesto PAIS was eliminated, the reverse withholding regime for income tax and the tax on personal assets remains 30% on certain cross-border transactions that involve the purchase of foreign currency.
- Argentina-China double tax treaty enters into force
On 19 December 2024, Argentina’s Ministry of Foreign Relations announced that a tax treaty to prevent double taxation, tax evasion and tax avoidance between Argentina and China (Tax Treaty) — initially signed on 2 December 2018 — had entered into force on 26 November 2024 and would become effective as of 1 January 2025. China had already complied with the domestic requirements for the entry into force of the Tax Treaty, which had been notified to Argentina on 27 June 2019.
- Peru enacts tax benefits affecting energy, hospitality and other business sectors
On 29 December 2024, the Peruvian Government enacted Laws 32217, 32218, 32219 and 32220 to extend certain tax benefits and exemptions and incorporate new income tax exemptions. The changes include accelerated depreciation for electricity and energy companies, exemption for capital gains and interest on securities issued by the Peruvian Government, a special VAT rate for hotels and restaurants, and a special installment payment regime.
- UN General Assembly approves Terms of Reference for Framework Convention on International Tax Cooperation
The United Nations (UN) General Assembly adopted the Terms of Reference (ToR) for the development of a UN Framework Convention on International Tax Cooperation (Framework Convention) on 24 December 2024. The ToR outline the structure and objectives of the Framework Convention, including the development of two early protocols addressing key tax issues. A negotiating committee will be established to draft these documents, with the text expected to be submitted to the General Assembly for consideration in 2027.
| | | | | This week's newsletters | | | | | Upcoming EY webcasts A calendar of all upcoming EY webcasts is available. | | | | | Recent EY podcasts All episodes of the EY Cross-Border Taxation Spotlight and EY Talks Tax are available through Apple podcasts. | | | | | This week's EY Global Tax Alerts Asia Europe Middle East | | | | | This week's EY publications Banking and capital markets Energy Legislation and policy Mergers & Acquisitions | | | | | | Additional resources EY Global Tax News Update EY's Global Tax Alerts and other content can be delivered directly to your inbox. Register for EY's Global Tax News Update. | EY Guides available for download Browse our in-depth guides covering corporate tax, indirect tax, personal taxes, TP and other tax matters in more than 150 countries. |
Comments. If you have any questions or suggestions about this newsletter, please email Tax News Update Help at: ustaxalertshelp@ey.com. | | | | | About Americas Tax Roundup Published by NTD's Tax Technical Knowledge Services Group, Washington, D.C. Jennifer Mannetta, writer and editor Distributed weekly to all Americas Tax personnel. | | |
Document ID: 2025-0197 |