Appendix 39 a
Areas referred to in Chapter 39 a. Section 7:
1st Africa, with the exception of
- Djibouti, Seychelles and Saint Helena,
- Ceuta, Egypt, Gabon, Gambia, Ghana, Cape Verde, Comoros, Congo (Congo-Brazzaville), Liberia, Libya, Madagascar, Morocco, Mauritius, Mayotte, Melilla, Réunion, Rwanda, Sao Tomé and Príncipe, Senegal, Tanzania and Tunisia, all in terms of income from banking and finance operations, other financial activities, insurance activities
- Madeira in terms of income from banking and finance operations, other financial activities, insurance activities, royalties and other income from intellectual property rights, which are not taxed with the normal income tax there, and income subject to notional interest deduction and similar deductions, and
- Kenya and Namibia, both in terms of income from banking and finance operations, other financial activities, insurance operations, royalty and other income from intellectual property rights, which are not taxed with the normal income tax there, and income that is not taxed there because of the income is not considered to come from there.
2nd America, but only in terms of
- United States of America, Brazil, Colombia, Dominican Republic, Ecuador, Haiti, Honduras, Canada, Cuba, Mexico and Venezuela,
- Argentina, Barbados, Chile, French Guiana, Guyana, Jamaica, Peru, Surinam and Uruguay, all with the exception of income from banking and finance operations, other financial activities, insurance activities, royalties and other intellectual property income, which are not taxed with the normal income tax there,
- Paraguay, with the exception of income from banking and finance operations, other financial activities, insurance, royalty and other intellectual property income, and
- Belize, Bolivia, Costa Rica, El Salvador, Guatemala, Nicaragua and Panama, all with the exception of income from banking and finance operations, other financial activities, insurance activities, royalties and other intellectual property income, which are not taxed at the normal income tax there, partly from income that is not taxed there because the income is not considered to be derived from it.
3rd Asia, with the exception of
- Bahrain, the United Arab Emirates and the Maldives,
- Armenia, Azerbaijan, the Philippines, India, Indonesia, Iran, Israel, Jordan, Kazakhstan, China, Lebanon, Macao SAR, North Korea, Russia, South Korea, Tajikistan and Thailand, all in terms of income from banking and finance operations, other financial activities, insurance activities , royalty and other intellectual property income, which is not taxed with the normal income tax there,
- Georgia, Kyrgyzstan, Mongolia, Oman, Turkmenistan and Uzbekistan, all in terms of income from banking and finance operations, other financial activities, insurance, royalty and other intellectual property income,
- Cyprus and Turkey, both in terms of income from banking and finance operations, other financial activities, insurance activities, royalties and other income from intellectual property rights, which are not taxed with the normal income tax there, and income subject to notional interest deduction and similar deductions,
- Brunei Darussalam, Hong Kong SAR, Kuwait, Malaysia, Qatar, Singapore and Syria, all in terms of income from banking and finance operations, other financial activities, insurance activities, royalties and other income from intellectual property rights, which are not taxed with the normal income tax there , partly income that is not taxed there because the income is not considered to be derived from it,
- Pakistan, in terms of income from other financial activities, royalties and other income from intellectual property rights, which are not taxed with the normal income tax there, and
- Christmas Island and the Kokos Islands, both in terms of income from banking activities that are not taxed with the normal income tax there according to the rules on the Offshore Banking Unit regime.
4th Europe, with the exception of
- British Channel Islands, Isle of Man, Malta and Monaco,
- Azerbaijan, France, Greece, Ireland, Kazakhstan, Croatia, Lithuania, Luxembourg, Netherlands, Poland, Romania, Russia, San Marino, Slovakia, Spain, Czech Republic, Ukraine, Belarus and Austria, all in terms of income from banking and finance operations, other financial activities, insurance activities, royalties and other intellectual property income, which are not taxed with the normal income tax there,
- Andorra, Bosnia and Herzegovina, Bulgaria, Estonia, Gibraltar, Georgia, Kosovo, Latvia, Macedonia, Moldova, Montenegro, Switzerland and Hungary, all in terms of income from banking and finance operations, other financial activities, insurance, royalty and other income from intellectual property rights,
- Belgium, Italy, Liechtenstein, Portugal and Turkey, all in terms of income from banking and finance operations, other financial activities, insurance activities, royalties and other income from intellectual property rights, which are not taxed with the normal income tax there, and income that is subject to for notional interest deduction and similar deductions, as well
- the United Kingdom of Great Britain and Northern Ireland and Slovenia, both in terms of income from banking and finance operations, other financial activities and insurance activities, which are not taxed at the normal income tax there.
5th Oceania, but only in terms of
- Hawaii, New Zealand and Papua New Guinea, as well
- Australia, with the exception of income from banking activities that are not taxed with the normal income tax there according to the rules on the Offshore Banking Unit regime. Law (2020: 1072).