Taxation as of 2023 for non-residents

Wealth tax and Solidarity Tax of Great Fortunes.

At the end of December 2022, the dreaded “Great Fortunes Solidarity Tax” came into force in Spain, and the Wealth Tax Law has been amended.

The amendments nº 99 and nº102 published in the official gazette of the Spanish Parliament on November 18, 2022, in relation to the already approved bill for the establishment of temporary energy and credit institutions levies, will affect NON-RESIDENTS.

These changes will not impact all Non-Residents in the same way, but there are two groups of foreigners that will be particularly affected. Firstly, those who have properties in regions where the wealth tax is 100% subsidized and, on the other hand, those who acquired properties through foreign companies or real estate companies, known as dormant companies.

In order to develop in more depth and explain who must pay tax and what they must declare, we must classify the Non-Residents in three groups:

1. Non-residents of countries without a double taxation agreement with Spain or that have a DTA, but do not contemplate Wealth Tax.

Albania, Andorra, Algeria, Australia, Brazil, Cape Verde, Qatar, USA, China, Korea, Philippines, Finland, Hong Kong, Ireland, Italy, Jamaica, Japan, Malaysia, Malta, New Zealand, Oman, Pakistan, Portugal, Dominican Rep., Romania, Senegal, Singapore, Thailand, Turkey, Vietnam; and with suspensive or resolutory character (until the Wealth Tax is established or while it exists) Saudi Arabia, Colombia, Croatia, Egypt, Nigeria.

PROPERTY:

SOLIDARITY TAX ON LARGE FORTUNES:

2. Non-residents of countries with CDI, which in turn contemplate the Wealth Tax, but do NOT have a section on real estate companies.

Argentina, Austria, Bolivia, Bulgaria, Canada, Czech Republic, Chile, Cyprus, Costa Rica, Cuba, Ecuador, Emirates, Estonia, Greece, Holland, Hungary, Indonesia, Iran, Kuwait, Latvia, Lithuania, Macedonia, Morocco, Poland, Russia, Serbia, Slovakia, Sweden, Switzerland, Tunisia, Venezuela.

PROPERTY:

There is a binding consultation (V2020-21) that establishes that as a basis for the IP, the expenses and taxes incurred for the purchase of the property are added. In our opinion a real barbarity.

SOLIDARITY TAX ON LARGE FORTUNES:

3. Non-residents of countries with a CDI, which in turn contemplate the Wealth Tax and DO have a section on real estate companies

Germany, Armenia, Azerbaijan, Belgium, Belarus, France, El Salvador, Slovenia, Republic of Georgia, Kazakhstan, Panama, Uruguay, India, Iceland, Israel, Luxembourg, Mexico, Moldova, Norway, United Kingdom, South Africa.

PROPERTY:

There is a binding consultation (V2020-21) that establishes that as a basis for the IP, the expenses and taxes incurred for the purchase of the property are added. In our opinion a real barbarity.

SOLIDARITY TAX ON LARGE FORTUNES:

We kindly ask all clients who are affected by these modifications to contact us to study their case individually.

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