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PERU 2016
CAPITAL: LIMA
POPULATION: 30,15 MILLION
POLITICAL SYSTEM: CONSTITUTIONAL REPUBLIC
CURRENCY: PERUVIAN SOL (PEN)
GEOGRAPHY - POLITICAL - POPULATION
Legislation enables various forms of companies.
The most common is:
Corporation
In a corporation, capital is represented by registered stocks contributed by shareholders, who are
not personally liable for the corporate debts. In order to incorporate a company, at least one fourth
of the capital stock must be paid-up.
Capital may only be contributed in the form of goods and rights capable of being economically
appraised. The contribution of services is forbidden.
In accordance with the provision of by-laws, the Board of Directors meeting may be held without
the presence of the directors, through written, electronic or other means that allow for adequate
communication and guarantee the authenticity of agreements.
The Corporation may be a:
a) Corporation S.A. This alternative has many articles that must be specifically clarified by a
specialist consultant. It is the most common option for a foreign company wishing to be
incorporated in Peru.
b) Closed corporation S.A. Closed corporation shall not have more than 20 shareholders and its
stocks may not be listed on the stock market.
FORMS OF BUSINESS ORGANIZATIONS
Under Peruvian law, almost all corporations need three or more directors on a board as well as a
designated manager. Their names must be listed in the incorporation documents. Only closed
corporations are exempt from this rule.
A shareholder wishing to transfer stocks shall report this to the company’s management, which, in
turn, will inform the other shareholders about the matter, in order to allow them to practice their
preferential right of acquisition.
After execution of the deed, the company needs to file the deed with the Public Registry to obtain
registration. Only once registration has been granted is the new company legally and validly
incorporated and existing.
NIC (NORMAS INTERNACIONALES DE CONTABILIDAD) are technical specifications adopted by the
accounting profession to register transactions and financial statement formulations, which are
approved by the Accounting Regulating Committee.
The overall application of NIC makes financial statements more significant and reliable as tools for
decision-making.
Accounting principles generally accepted in Peru include the international financial reporting
standards (IFRS) officially issued through resolutions issued by the Accounting Standards Board.
The purpose of the preparation of consolidated financial statements is to know the financial
situation, results of operations and cash flows of a group of companies economically linked as one
company. It is assumed that consolidated information is more useful in decision-making.
In addition, if any of the companies of the group is registered with the Lima Stock Exchange, the
parent company must submit non-audited quarterly consolidated financial information.
ACCOUNTING
Resident companies are taxed on its worldwide income. Any profits, including capital gains, are
included within the taxable income of a corporation and taxed at the regular corporate rate.
Resident companies are those incorporated or established in Peru.
Corporate Income Tax (CIT) is currently payable at a regular rate of 28%. However, due to a Tax
Reform enacted in 2014, such tax rate is subject to a downward trend, applying the 28% regular rate
for fiscal years 2015 and 2016, falling to 27% for fiscal years 2017 and 2018, and 26% since 2019
onwards.
The tax year for a company is the accounting year, which ends on December 31st. Companies are
required to make monthly CIT prepayments to be offset with the definite Income Tax calculated by
the end of the fiscal year. Prepayments should be calculated based upon one of the following
methods:
a) 1,5% of monthly net revenue or
b) the monthly net revenue times a ratio between the income tax and the net revenue, both from
the preceding year.
Companies must file their Annual Income Tax Return and pay any balance due up to the end of
March or the first days of April each year.
Mining companies are, in addition to their specific corporate rates of tax, subject to a royalty
calculated on the gross sales relating to the transfer of mineral resources. The royalty is calculated in
terms of a specific formula and, depending upon the operating margin, is in a range from 1% to 12%.
CORPORATE TAXATION
Pursuant to the provisions of Peruvian Income Tax Law, Peruvian citizens domiciled in Peru are taxed
on their worldwide income, regardless of where the income is generated or where it has been paid
or the currency of receipt. In the case of non-domiciled citizens, they are taxed only on their
Peruviansource income. Foreign citizens are deemed to be domiciled for Income Tax purposes if they
have been physically present in Peru for more than 183 days within a 12-month period.
For both cases, domicile status shall be determined at the beginning of each tax year. Changes
regarding such condition that may occur during the fiscal year shall become effective from the
beginning of the next fiscal year. For domiciled individuals, taxation on income from work either as
independent contractor or as employees (fees, wages, salaries, etc.) shall be determined by applying
a progressive cumulative rate based on the amount of income received during the tax year, as
described in the following chart:
Progressive Cumulative Scale
INDIVIDUAL TAXATION
Income Rate
Up to 5 UIT 8%
For the excess of 5 UIT and up to 20 UIT 14%
For the excess of 20 UIT and up to 35 UIT 17%
For the excess of 35 UIT and up to 45 UIT 20%
Any excess of 45 UIT 30%
Peru has signed Double Taxation Agreements with Chile, Canada, Brazil, the countries of
the Andean Community (known by its Spanish Acronym CAN, comprising Bolivia,
Colombia, Ecuador, and Peru) and recently Mexico, South Korea, Switzerland and Portugal.
In addition to this network, negotiations are underway for signing Treaties with France,
Italy, Sweden, The Netherlands, the United Kingdom, Japan, Qatar and the United Arab
Emirates.
DOUBLE TAX TREATIES
Peruvian VAT is imposed on the sale of goods, the supply of services in the country and the
import of goods made at different stages of the economic cycle. The general tax rate is
18%. It is a monthlybasis tax operating under the debit-credit system, offsetting the tax
paid on sales against the VAT paid on purchases. VAT credit does not have an expiration
date. Services rendered from abroad but economically used in Peru are levied with
Peruvian VAT under the “reverse charge” mechanism. Corporate reorganizations are not
subject to Peruvian VAT.
VAT
This publication must not be regarded as offering a complete explanation of the taxation and
corporate matters that are contained within this publication.
This publication has been prepared on the express terms and understanding that the publishers are
not responsible for the results of any actions which are undertaken on the basis of the information
which is contained within this publication.
The publishers and the authors expressly disclaim all and any liability and responsability to any person,
entity or corporation who acts or fails to act as a consequence of any reliance upon the whole or any
part of the contents of this publication.
Accordingly no person, entity or corporation should act or rely upon any matter or information as
contained or implied within this publication without first obtaining advice from an appropriately
qualified professional person, and ensuring that such edvice specifically relates to their particular
needs.
DISCLAIMER

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Peru 2016 - Corporate and Tax Highlights by Gianmauro Nigretti

  • 1. • Web Site: www.shermannigretti.it • E-mail: info@shermannigretti.it • Tel. +39 (0)2 7722951 • Mob. +39 335 6030346 • Twitter: @ShermanNigretti • Linkedin: Gianmauro Sherman Nigretti PERU 2016
  • 2.
  • 3. CAPITAL: LIMA POPULATION: 30,15 MILLION POLITICAL SYSTEM: CONSTITUTIONAL REPUBLIC CURRENCY: PERUVIAN SOL (PEN) GEOGRAPHY - POLITICAL - POPULATION
  • 4. Legislation enables various forms of companies. The most common is: Corporation In a corporation, capital is represented by registered stocks contributed by shareholders, who are not personally liable for the corporate debts. In order to incorporate a company, at least one fourth of the capital stock must be paid-up. Capital may only be contributed in the form of goods and rights capable of being economically appraised. The contribution of services is forbidden. In accordance with the provision of by-laws, the Board of Directors meeting may be held without the presence of the directors, through written, electronic or other means that allow for adequate communication and guarantee the authenticity of agreements. The Corporation may be a: a) Corporation S.A. This alternative has many articles that must be specifically clarified by a specialist consultant. It is the most common option for a foreign company wishing to be incorporated in Peru. b) Closed corporation S.A. Closed corporation shall not have more than 20 shareholders and its stocks may not be listed on the stock market. FORMS OF BUSINESS ORGANIZATIONS
  • 5. Under Peruvian law, almost all corporations need three or more directors on a board as well as a designated manager. Their names must be listed in the incorporation documents. Only closed corporations are exempt from this rule. A shareholder wishing to transfer stocks shall report this to the company’s management, which, in turn, will inform the other shareholders about the matter, in order to allow them to practice their preferential right of acquisition. After execution of the deed, the company needs to file the deed with the Public Registry to obtain registration. Only once registration has been granted is the new company legally and validly incorporated and existing.
  • 6. NIC (NORMAS INTERNACIONALES DE CONTABILIDAD) are technical specifications adopted by the accounting profession to register transactions and financial statement formulations, which are approved by the Accounting Regulating Committee. The overall application of NIC makes financial statements more significant and reliable as tools for decision-making. Accounting principles generally accepted in Peru include the international financial reporting standards (IFRS) officially issued through resolutions issued by the Accounting Standards Board. The purpose of the preparation of consolidated financial statements is to know the financial situation, results of operations and cash flows of a group of companies economically linked as one company. It is assumed that consolidated information is more useful in decision-making. In addition, if any of the companies of the group is registered with the Lima Stock Exchange, the parent company must submit non-audited quarterly consolidated financial information. ACCOUNTING
  • 7. Resident companies are taxed on its worldwide income. Any profits, including capital gains, are included within the taxable income of a corporation and taxed at the regular corporate rate. Resident companies are those incorporated or established in Peru. Corporate Income Tax (CIT) is currently payable at a regular rate of 28%. However, due to a Tax Reform enacted in 2014, such tax rate is subject to a downward trend, applying the 28% regular rate for fiscal years 2015 and 2016, falling to 27% for fiscal years 2017 and 2018, and 26% since 2019 onwards. The tax year for a company is the accounting year, which ends on December 31st. Companies are required to make monthly CIT prepayments to be offset with the definite Income Tax calculated by the end of the fiscal year. Prepayments should be calculated based upon one of the following methods: a) 1,5% of monthly net revenue or b) the monthly net revenue times a ratio between the income tax and the net revenue, both from the preceding year. Companies must file their Annual Income Tax Return and pay any balance due up to the end of March or the first days of April each year. Mining companies are, in addition to their specific corporate rates of tax, subject to a royalty calculated on the gross sales relating to the transfer of mineral resources. The royalty is calculated in terms of a specific formula and, depending upon the operating margin, is in a range from 1% to 12%. CORPORATE TAXATION
  • 8. Pursuant to the provisions of Peruvian Income Tax Law, Peruvian citizens domiciled in Peru are taxed on their worldwide income, regardless of where the income is generated or where it has been paid or the currency of receipt. In the case of non-domiciled citizens, they are taxed only on their Peruviansource income. Foreign citizens are deemed to be domiciled for Income Tax purposes if they have been physically present in Peru for more than 183 days within a 12-month period. For both cases, domicile status shall be determined at the beginning of each tax year. Changes regarding such condition that may occur during the fiscal year shall become effective from the beginning of the next fiscal year. For domiciled individuals, taxation on income from work either as independent contractor or as employees (fees, wages, salaries, etc.) shall be determined by applying a progressive cumulative rate based on the amount of income received during the tax year, as described in the following chart: Progressive Cumulative Scale INDIVIDUAL TAXATION Income Rate Up to 5 UIT 8% For the excess of 5 UIT and up to 20 UIT 14% For the excess of 20 UIT and up to 35 UIT 17% For the excess of 35 UIT and up to 45 UIT 20% Any excess of 45 UIT 30%
  • 9. Peru has signed Double Taxation Agreements with Chile, Canada, Brazil, the countries of the Andean Community (known by its Spanish Acronym CAN, comprising Bolivia, Colombia, Ecuador, and Peru) and recently Mexico, South Korea, Switzerland and Portugal. In addition to this network, negotiations are underway for signing Treaties with France, Italy, Sweden, The Netherlands, the United Kingdom, Japan, Qatar and the United Arab Emirates. DOUBLE TAX TREATIES
  • 10. Peruvian VAT is imposed on the sale of goods, the supply of services in the country and the import of goods made at different stages of the economic cycle. The general tax rate is 18%. It is a monthlybasis tax operating under the debit-credit system, offsetting the tax paid on sales against the VAT paid on purchases. VAT credit does not have an expiration date. Services rendered from abroad but economically used in Peru are levied with Peruvian VAT under the “reverse charge” mechanism. Corporate reorganizations are not subject to Peruvian VAT. VAT
  • 11. This publication must not be regarded as offering a complete explanation of the taxation and corporate matters that are contained within this publication. This publication has been prepared on the express terms and understanding that the publishers are not responsible for the results of any actions which are undertaken on the basis of the information which is contained within this publication. The publishers and the authors expressly disclaim all and any liability and responsability to any person, entity or corporation who acts or fails to act as a consequence of any reliance upon the whole or any part of the contents of this publication. Accordingly no person, entity or corporation should act or rely upon any matter or information as contained or implied within this publication without first obtaining advice from an appropriately qualified professional person, and ensuring that such edvice specifically relates to their particular needs. DISCLAIMER