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  • in reply to: MP 1.171/2023: radical change to tax investments abroad #6699
    Marcus
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    Tersi, what would be the situation with the exemption for capital gains abroad of up to 35,000 reais per month, which will start with the new rule in January 2024?

    in reply to: MP 1.171/2023: radical change to tax investments abroad #6700
    Marcus
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    Tersi, in the non-taxation agreements between Brazil and other countries such as China, I understand that we can be absent from Brazil for more than a year and continue to do income tax normally here. Is that correct?
    If the income tax collected in China is 10% , will we have to pay the remaining 17.5% in Brazil to complete the 27.5% or is the agreement independent of the amount of tax paid there?
    We have the example of the United Arab Emirates, which has an agreement with Brazil and there Ir is zero!
    In this case, if we don't give a tax exit, do we end up having to pay 27.5% to go to Brazil and work there?

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Hi, I'm Vinicius Tersi, a specialist in international tax law.

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