NEWS

CYPRUS TAX REFORM 2026

Below is a summary of the key tax changes, most of which are effective from 1 January 2026, unless otherwise stated.


1.Income Tax Law

Income/corporation tax

  • Corporate Income Tax (CIT) rate increased from 12.5% to 15%
  • Tax loss carry forward extended from 5 to 7 years
  • Additional 20% “super deduction” for qualifying R&D expenses (2025–2030)
  • Amortisation of intangible assets with indefinite life capped at 20 years
  • Entertainment expenses deductible limit increased to lower of 1% of turnover and €30,000
  • Restriction on interest deductibility for non-business assets continues beyond 7 years
  • Introduction of crypto taxation at a flat rate of 8% (both for individuals and companies and subject to conditions)
  • Share option schemes may be taxed at 8% flat rate (subject to conditions)

Residency & Corporate Residence

  • Removal of the requirement for individuals not to be tax resident elsewhere under the 60-day rule
  • Corporate tax residency can be established by incorporation, unless overridden by a DTT (i.e. a Cyprus tax registered company is considered Cyprus tax resident by default)

Individuals

  • Tax-free income band increased from €19,500 to €22,000
  • New income tax deductions (subject to income thresholds) for:
    • Dependent children / university students
    • Interest or rent for main residence
    • Insurance against natural disasters
    • Energy efficiency expenses
    • Acquisition of electric vehicles

Other

  • Ex-gratia payments (Retirement (including early retirement) / Termination of employment or appointment / “Golden handshake” payments / Compensation for loss of office above €200,000 taxed at 20%
  • From 1 January 2031, redemptions of fund units treated as dividends (instead of disposal of titles)

2.Special Contribution for the Defence (SDC)

  • SDC on dividends for Cyprus-domiciled individuals reduced from 17% to 5%. (non-domiciled individuals subject only to GESY)
  • SDC on rental income abolished (both for companies and individuals) (rental income still subject to GESY)
  • Deemed Dividend Distribution rules abolished for profits earned after 1 January 2026 (DDD payments applicable until 31 January 2028 relating to profits of the year 2025)
  • Profits earned up to 31 December 2025 remain subject to SDC at 17% upon distribution
  • New deemed dividend rules introduced at 10%, covering:
    • Private use of company assets by shareholders
    • Transfer of assets to shareholders below market value
  • Non-domicile SDC exemption may be extended beyond 17 years upon payment of €250,000 per additional 5-year period
  • Penalties and fines significantly increased
  • From 1 January 2031, fund unit redemptions treated as capital reductions

3.Capital Gains Tax (CGT)

  • Shares deriving 20% or more of their value from Cyprus immovable property fall within CGT (previously 50%)
  • Increased tax-exempt thresholds for disposals of immovable property, agricultural land, and main residence
  • Exemption extended to shares listed on regulated markets of recognised exchanges
  • New exemption for unlisted shares up to €50,000 per annum
  • Land-for-building exchanges exempt from CGT (αντιπαροχή). In this case CGT is deferred to subsequent disposal of the building/flat/shop etc)
  • Penalties and fines increased

4.Assessment & Collection of Taxes Law

  • Mandatory personal tax return (TD1) filing for:
    • All tax residents aged 25–71, regardless of whether they have income or not
    • All tax residents with income, regardless of age
  • New tax return & payment deadline for audited taxpayers: 31 January (13 months after year-end)
  • Partnerships now required to file tax returns (in addition to partners)
  • Objection deadline extended to 60 days
  • Statute of limitations remains 6 years, calculated from return submission date (as opposed from the end of the tax year)
  • Audit threshold for individuals increased from €70,000 to €120,000
  • Commissioner may suspend business operations for serious non-compliance
  • From 1 July 2026, rent payments exceeding €500 must be made electronically (no cash)
  • Directors remain liable for actions during their tenure even after resignation
  • Increased penalties and fines across the board
  • Commissioner of Taxation empowered to pledge shares where tax arrears exceed €100,000

5.Stamp Duty Law

  • Stamp Duty is abolished
  • Stamp duties for obtaining tax residence / tax clearance certificates still apply