opinion

ABBL’s position on the Proposal for a Faster and Safer Relief of Excess Withholding Taxes

ID 25133

ABBL’s position on the Proposal for a Faster and Safer Relief of Excess Withholding Taxes, released by the European Commission on 19 June 2023, is one of cautious support with significant concerns. The ABBL acknowledges the proposal’s objective of simplifying, digitizing, and harmonizing withholding tax processes in the EU, a long-standing priority for the organization.
While the ABBL welcomes the introduction of more efficient withholding tax procedures for cross-border securities income, they express reservations regarding the potential burdens on financial intermediaries and the associated liabilities. They emphasize the need for greater proportionality and simplification of obligations for financial intermediaries, advocating for a non-mandatory procedure and increased harmonization of processes within the EU.
The ABBL appreciates the proposal’s inclusion of the eTRC, as it addresses current inefficiencies in refunding excess withholding tax, a barrier to cross-border investment and the creation of a single capital market within the EU.
However, the ABBL is concerned that the proposed sanctions for non-compliance, particularly for Certified Financial Intermediaries, could discourage financial institutions from participating in the „fast track“ procedures. They emphasize that the administrative burden and associated costs may deter medium and small-sized institutions from complying with the extensive due diligence and reporting obligations.
The ABBL stresses that the objective of simplification and speed should not result in an excessive layer of tax reporting obligations. They propose a revised timeframe for implementation, suggesting that the provisions take effect 18 months after each Member State’s deadline for transposing them into national law (1 July 2028), allowing financial intermediaries sufficient time to establish the required procedures.
Therefore, the ABBL supports the proposal’s goals but seeks a balance between simplification and the potential burdens on financial sector players, advocating for greater proportionality, harmonization, and a reasonable implementation timeline to ensure a smooth transition.

Other Features
agreement
banks
beneficial owner
bonds
CDD/ KYC
compliance
cooperation
CSD
digitisation
dividends
double taxations
due diligence
eligibility
fraud
investment firms
investors
issuer
liabilities
payment services
process
reporting
sanctions
securities
shareholders
standard
taxation
taxes
Date Published: 2023-09-28
Regulatory Framework: New Withholding Tax Framework
Regulatory Type: opinion

Targeted consultation on the implementation of the Sustainable Finance Disclosures ...

ID 26438
The ABBL responded to the EC’s Targeted Consultation on SFDR Implementation. As a re ...

ABBL answer to ESMA – Call for evidence on shortening of the settlement cycle

ID 26435
In response to ESMA’s call for evidence on the potential shortening of the securitie ...

ChatGPT and banks in Luxembourg: an opportunity

ID 23368
A survey conducted among members of the ABBL reveals that 76% of respondents see tools lik ...

The ABBL supports its Members‘ efforts to build trust in the Luxembourg ...

ID 23120
The ABBL published its Annual Report 2022, providing a comprehensive overview of the activ ...
  • Topic Filter

    Top Tag Search
    Top Tag Search
    Top Tag Search
    Top Tag Search
You are on the training version of RISP core with limited functions and data. Please subscribe to RISP core for professional or academic use. We supply free real time datasets for approved academic research; professional subscriptions start at 950€ plus VAT per annum.

Compare Listings