EFG BANK

Our client is a Swiss Bank that wills to enter into lending business in Peru. For these purposes, we were asked to make a jurisdictional analysis regarding tax aspects on cross-border lending activities. Our labour consisted in analysing different questions proposed by our client, with a special emphasis in the risk of configuration of a permanent establishment, taxation applicable to loan interest and double taxation avoidance. Likewise, we were asked to analyse the application of Rule XVI of the Peruvian Tax Code establishes a general anti-avoidance rule (GAAR) in a specific case that involved a loan granted to a usufructuary shareholder of a Peruvian company with a cross pledge on the assets held by such company.

Matter value – include currency and amount in figures :

Is this a cross-border matter? If yes, please indicate the jurisdictions involved :

Yes, Luxembourg

Lead partner :

Michael Morales

Other team members :

Fiorela Rios

Other firms advising on the matter and their role(s) :

No

Date of completion or current status :

On going