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- Tax Transparency Notice
Regulatory notice · Luxembourg
Luxembourg: Tax Transparency Notice
IGUAKO Capital pays the tax it owes where it does business and reports the accounts it is required to report. It builds no structure whose purpose is concealment, and it gives no client advice on that client's own tax. This notice explains what the firm asks a client to certify, what it reports and to whom, how the local charge to tax works, and what the firm will refuse to do. It is issued under the group policy on the Prevention of the Facilitation of Tax Evasion, IGC-FC-006.
What the client is asked to certify
At onboarding, the client and every controlling person behind it certify each jurisdiction of tax residence and the taxpayer reference issued there. The certification is read against the rest of the file, and a correspondence address, a settlement account or a place of birth pointing somewhere else has to be reconciled before the account opens. A client tells the firm within 30 days of a change in its residence, and the Luxembourg entity requests a fresh certification whenever a change of circumstances shows up in the file. A mandate does not open on an unresolved certification, and a certification that cannot be reconciled closes the account.
What is reported, and to whom
Where an entity in the network is a reporting financial institution, it reports the accounts of clients resident in participating jurisdictions to its own competent authority, which forwards the data to the authority of the client's residence. What is reported is the account holder, the controlling persons, the account identifier, the balance at the year end and the gross amounts credited during the year. Reporting is annual and runs to the deadline the local authority sets. A client may ask IGUAKO Capital Europe S.à r.l. for a copy of what was reported about it, and the copy is provided.
The local charge to tax
Each domicile has its own charge to tax, its own filing calendar and its own reporting obligations, and the group tax function keeps one return calendar covering all 28.
The holding company is subject to corporate income tax, municipal business tax and net wealth tax, and applies the participation exemption to qualifying dividends and gains where the conditions for it are met and documented. The fund pays the annual subscription tax on its net assets at the rate its category attracts. Each vehicle files the exchange of information reports required of it by the local deadline. Intra-group financing is priced on arm-length terms supported by an annual transfer pricing file, and the substance of each company, its directors, its decisions and its records, is documented so that the jurisdiction of taxation is never in doubt.
Transfer pricing on funding, services and licences between Luxembourg entities and the rest of the group is documented each year and reviewed by the Group Head of Tax before the return is filed, alongside the returns of the other Europe entities.
What the firm will not do
The firm refuses a mandate whose purpose is to hide ownership, income or residence from an authority entitled to know it. It declines a request to invoice a party other than the one that received the service, to route a payment through an entity with no part in the transaction, or to describe a distribution as something it is not. Contracts with introducers, agents and other associated persons carry a clause forbidding facilitation, a right to ask how the work was done and a right to end the appointment on notice. The firm gives no tax advice, and the team in Luxembourg says so in writing before the first mandate is signed.
A structure that works only because a tax authority cannot see it is not a structure the firm will build. Where a client wants a view on its own position, the firm asks it to take that advice independently and records on the file that it did so.
Questions about this notice may be raised with the local entity through compliance@iguako.tech, quoting the jurisdiction and the notice title.
This jurisdiction
Other notices for Luxembourg.
This notice elsewhere