DFDL
  July 13, 2018 - Myanmar

Myanmar Tax Alert: Ministry of Planning and Finance Amends the Withholding Tax Rules in Myanmar

The Ministry of Planning and Finance issued Notification 47/2018, outlining the new withholding tax (“WHT”) rules that now apply on payments to resident and non-resident taxpayers in Myanmar. This Notification is effective from earlier this year and will supersede the current WHT Notification 51/2017 that was issued last year.

The major changes under Notification 47/2018 are as follows:

There is no change in WHT on payments to non-resident foreigners. The WHT on paymentsfor goods and work performed or supply of services within the country is still at2.5%.

Previously, Notification 51/2017 qualified the threshold: (1) based on the type of the payer’s registration with the Internal Revenue Department (i.e., if under Self-Assessment of Office Assessment Systems); and (2) the amount per payment to supplier. However, Notification 47/2018 now applies the threshold uniformly to all resident taxpayers and based on total payments to suppliers per annum.

 

 

Type of Payment WHT rates on payments to
  Residents Non - residents
(a) Interest payments. Exempt 15%
(b) Royalties for the use of Licenses, Trademarks, Patent Rights, etc. 10% 15%
(c) Payments by Union level organizations, Departments of Union Ministries, Naypyitaw Council, Regional or State Governments, State-owned enterprise, Municipal organizations for the purchase of goods, work performed or supply of services within the country under a tender, bid, quotation, contract, agreement, or other modes. 2% 2.5%
(d) Payments by business firms that beneficially consolidate with the government, joint ventures, partnerships, companies, associations of individuals, organizations, or associations registered and organized under the existing law, cooperatives, foreign companies, foreign enterprises for the purchase of goods, work performed, or supply of services within the country under a contract, agreement, or other modes. Exempt 2.5%

Note:For item (a), WHT Notification 51/2017 stated that interest payments should be for a loan or indebtedness or a transaction of a similar nature or saving. However, Notification 47/2018 did not qualify the nature of interest payments. Similarly, interest payments made to branches of foreign banks are still exempt from WHT.

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The information providedhere is for information purposes only, and is not intended to constitute legal advice. Legal advice should be obtained from qualified legal counsel for all specific situations.


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