Overview

The Zakat, Tax, and Customs Authority (ZATCA) has published proposed amendments to the Income Tax Law for public consultation on the platform, Istitlaa, on 25 September 2023. The due date to submit comments and feedback on the proposed amendments is 25 October 2023.

In summary, the proposed amendments suggest the following Income Tax Law provisions:

  • Payments made to a natural person by an employer under an employment arrangement are not subject to withholding tax (WHT).
  • Bonuses paid to board members or those in similar positions are considered wages.
  • Payments made to non-resident entities classified as 鈥渢ransparent entities鈥� are not subject to WHT to the extent of the share attributed to a resident of Saudi Arabia.
  • Refers the tax treatment of research and development expenses to the Income Tax Implementing Regulations.
  • New WHT rates and categories.

In detail

Article 68: Tax Withholding 鈥� Addition of two paragraphs:

  • Payments made to an employee against his work, whether in the form of wages, benefits, rewards, and the like, paid by employer to a natural person working for him or related to him by contractual relationship resembling an employee-employer relationship, or working for him according to his guidance or under his supervision, are not subject to withholding tax. Additionally, bonuses received by board members or those in similar positions are considered wages for system purposes.
  • Payments made to non-resident entities, organizations, partnerships, or establishments classified as transparent entities for tax purposes according to the jurisdiction of their residence are not subject to withholding tax, to the extent attributed to share of a resident person in the Kingdom.

Article 68: Tax Withholding 鈥� Amendment to paragraph (a) as follows:

Number

Nature of payment

WHT Rate

1

Interest for loans between related parties, including bonds and Sukuk.

5%

2

Royalties

15%

3

Rent

5%

4

Dividend distribution

5%, excluding listed securities, funds鈥� investments abroad, and granting stocks.

5

Services

10%, the regulation shall specify the application timeline and any exceptions to the withholding framework.

Article 16 鈥� Proposes to remove the current wording related to research and development expenses from the law and replace it with wording that refers the taxpayer to the Income Tax Implementing Regulations to determine the tax treatment for research, development, and innovation expenses.

The proposed draft can be accessed through this .

For detailed discussions on how the proposed amendments can affect your business, please contact our tax team:

Riyadh Office

Tareq Al Sunaid

Head of Tax

E: [email protected]

Salam Eido

Senior Director, Head of Tax - Riyadh

E: [email protected]

Sadia Nazir

Senior Director, Head of Transfer Pricing and International Tax

E:   [email protected]

Ali Sainudheen

Partner, Domestic Tax

E: [email protected]

Stefan El Khouri

Partner, International Tax

E: [email protected]

Jigna Sampath

Senior Director, Transfer Pricing/ Tax Leader, Financial Sector

E: [email protected]

 

Ajay Garg

Principal, Indirect Taxes

E: [email protected]

Oleg Shmal

Director, Indirect Taxes

E: [email protected]

Amr Alsaleh

Director, Domestic Tax

E: [email protected]

Jeddah Office

Faisal Tanvir

Partner, Head of Tax - Jeddah

E: [email protected]

Anan Sijini

Director, Domestic Tax

E: [email protected]

Khobar Office

Mohammad Kamran Sial

Partner, Head of Tax - Khobar

E: [email protected]

Mohamed Gouda

Director, Domestic Tax

E: [email protected]

 

Anil Bahl

Director, Indirect Tax

E: [email protected]