Legislative Clarifications Regarding Tax Benefits

Published date09 June 2023
Subject MatterIntellectual Property, Tax, Patent, Income Tax, Tax Authorities
Law FirmPLMJ
AuthorMr PLMJ

With the approval of Law 20/2023 of 17 May, the legislature has introduced a number of legislative changes to various tax incentives. These amendments include provisions intended to clarify certain issues that have arisen in relation to the already well-known Patent Box Regime and the application of the recently created Incentive to Business Capitalisation (Incentivo à Capitalizaç'o de Empresas - 'ICE').

Changes to the Patent Box Regime

The Portuguese Patent Box Regime, introduced in 2014 as part of the Corporate Income Tax reform, was not immediately competitive compared to its European counterparts. The percentage of exemption granted, its narrow scope and the rigid approach of the Portuguese Tax Authority ('PTA') limited the attractiveness of the regime.

In order to make it more competitive, the legislature has introduced changes to the Patent Box Regime. First, with the inclusion of software income registered in 2020, and more recently through the State Budget Law for 2022, the legislature increased the limitation of net income not subject to Corporate Income Tax from 50% to 85%.

However, in the same year 2022, the PTA restricted the scope of this amendment and of the Patent Box Regime itself (see Binding Information Request, File no. 2022 0002101/PIV 22968, approved by an order of 12 December 2022). In fact, in a combined interpretation of the Patent Box Regime and Article 92 of the Corporate Income Tax Code - which limits the reduction in the tax burden resulting from the application of tax incentives and other form of relief to 10% of the tax base - the PTA concluded that, since the Patent Box Regime is not among the benefits excluded from the scope of this provision (as is the case with other regimes), it should be taken into account in the application of this limitation.

Through Law 20/2023 of 17 May and for the purposes of interpretation, the legislature has clarified that Article 92 of the Corporate Income Tax Code does not place any limitation on the...

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