You are using an outdated browser and your browsing experience will not be optimal. Please update to the latest version of Microsoft Edge, Google Chrome or Mozilla Firefox. Install Microsoft Edge

April 21, 2020

Laos Clarifies COVID-19 Tax Exemptions

On April 10, 2020, Laos’ Ministry of Finance published Notification No. 1027/MOF to provide further details on income tax relief outlined in a previous notification, issued on April 2, to mitigate the economic impact of the COVID-19 pandemic.

The new notification provides clarification on the tax exemption that was provided for salaries and other income below LAK 5 million (approximately USD 560) per month.

  1. The new notification confirms that income of employees in the private or public sector below LAK 5 million per month will not be subject to personal income tax for a three month period (April, May, and June). For salaries higher than LAK 5 million, the usual progressive rate will be applied starting from LAK 5 million. The deadline for payment of this tax is the 20th of the following month.
  2. A three month profit tax exemption (April, May, and June) for micro-enterprises, as defined in the Income Tax Law, is confirmed. Micro enterprises that have paid their income tax in advance, under an agreement with the authorities, can deduct the amount paid for April, May, and June from payments for the following months, until the excess amount is exhausted.
  3. Those declaring personal income tax by means of a lump sum, or according to a concession agreement entered into with the government, must still declare as usual. The notification explains that these categories are not entitled to the exemption detailed above.
  4. Declaration of the LAK 5 million personal income tax which is exempted must be done in the usual method for personal income declaration. The TaxRIS system will automatically exempt the first LAK 5 million of income accordingly.

RELATED INSIGHTS​ 

April 11, 2016
Doing Business, a Q&A-style guide published by Practical Law Company in association with Lex Mundi, presents an overview of key recent developments affecting doing business in 41 jurisdictions worldwide. The Thailand chapter, written by attorneys at Tilleke & Gibbins, provides an overview of the country’s legal system and the key laws applicable to foreign companies doing business in the Kingdom. In particular, the chapter examines the following main subjects:
March 1, 2016
International Franchising, Second Edition (Release 4, 2015) has been published through Juris Publishing and edited by the Center for International Legal Studies. The guide provides analysis of franchising law and practice in 36 countries worldwide. Sriwan Puapondh, Of Counsel, and Alan Adcock, partner, in Tilleke & Gibbins, coauthored the Thailand chapter of the guide.
February 15, 2016
If you have existing contracts or are contemplating execution of new contracts in Myanmar, you should be aware of a recent announcement made by the Internal Revenue Department (IRD). The announcement addresses the requirement that a contracting party affix proof of paid stamp duty to all dutiable contracts made within Myanmar in accordance with the Myanmar Stamp Act.