The Law No. 6.380/19 on modernising and simplifying the Paraguayan tax system was passed on 25 September 2019.
The main changes introduced in this tax reform, with effect from 1 January 2020, are:
The IRE unified the previous Income Tax on Commercial and Industrial Activities and Services (IRACIS) and the Income Tax on Agricultural Activities (IRAGRO), with the aim of simplification and applying the same rules, retaining the main points of each.
Other changes include:
Two special schemes were introduced for Small and Medium Enterprises (MIPYMES).
This taxes dividends, profits or returns made available or paid by corporations to individuals, corporations and other entities resident in the country or not, such as owners, consortia, partners and shareholders.
The rate is 8% when the beneficiary is resident in the country and 15% when the recipient is non-resident, to be applied on the dividend or profit amount, without any deductions.
One of the main points introduced in the IRP by this reform is to separate income received by the individual as follows:
Income and Capital Gains
The tax calculation must be determined separately for each of the income categories, without the possibility of allocating expenses or profits from one to the other.
In the case of capital gains, the rate to be applied is 8%.
The tax charge on income from personal services is determined by applying progressive rates linked to a net income scale, as follows:
Segment |
Net amount |
Applicable rate |
---|---|---|
1 |
Up to PYG 50,000.000 (approx. USD 8,000) |
8% |
2 |
From PYG 50,000.000 to PYG 150,000,000 (approx. USD 24,100) |
9% |
3 |
over PYG 150,000.000 (approx. USD 24,100) |
10% |
This tax is another innovation, taxing Paraguayan source income received by non-residents from performing taxable activities included in the IRE and the IRP. The INR includes income from digital services, which were always taxed based on their effective utilisation in the country, including entertainment services or gambling. A rate of 15% on net income is expected, although this will depend on the activity carried out by the taxpayer.
Value added tax (VAT)
No significant modification was made to the VAT structure, maintaining the overall rate of 10% and the differentiated rate of 5% for basic food basket and medicine products. In the case of land and buildings rentals, those intended for use in a trade are taxed at the rate of 10%. However, the rate of 5% is maintained for those intended for family residence.
The previous system of VAT credit refunds is eliminated for export operations of soybean and its derivatives, with some exemptions.
The range of the prescribed rates in Section I "Tabacos" and Section II "Alcoholic Beverages" is expanded, including the tax on beverages high in sugar, canned foods high in calories, and luxury goods.
Oscar Guillén
oscar.guillen@bdo.com.py
Enrique Benítez
enrique.benitez@bdo.com.py