Corporation tax changes for foreign dividends due in 2025
A new participation exemption for foreign-sourced dividends will be introduced in Ireland’s corporation tax system in 2025 under a government roadmap published yesterday.
The roadmap, which includes a technical consultation to inform ongoing design work, sets out a timeline and the next steps towards the planned introduction of the exemption for foreign branch profits in the autumn 2024 Finance Bill.
Finance minister Michael McGrath said: “Ireland is committed to ensuring that our corporation tax code is competitive and attractive to business investment while maintaining consistency with international best practices.
“The corporation tax landscape globally has been undergoing a concentrated period of change in recent years, largely arising from the outputs of the OECD/G20 project on base erosion and profit shifting.
“Most recently, in October 2021, Ireland was one of almost 140 other jurisdictions to sign up to the OECD two-pillar solution to address the tax challenges arising from the digitalisation of the economy. This has been described as a once-in-a-generation agreement and the capstone to the process of international tax reform that began over a decade ago.
“These reforms have resulted in the introduction of a range of new measures to the corporation tax code, to be joined in Finance Bill 2023 by extensive new legislation to implement pillar two of the OECD agreement.”
He added: “In this context, the introduction of a participation exemption for foreign dividends to Ireland’s tax regime will provide much-needed administrative simplification and greater certainty for businesses, while continuing to ensure a robust and effective tax system.
“It will be a significant change to Irish corporation tax — a change which, I believe, will support Ireland’s competitiveness in the years to come.”