The Uruguayan General Directorate of Taxation May 8 posted online Consultation No. 6767, clarifying the application of the 2009 DTA with Spain to payments for services and trademark royalties. The taxpayer, a Uruguayan company, sought clarification on taxation for payments from a Spanish entity, for network services and the use of trademarks. The consultation clarifies that: 1) payments for services provided by the Spanish entity are taxable only in Spain, unless the Spanish entity operates through a permanent establishment (PE) in Uruguay; 2) payments for using trademarks are taxable in Uruguay at up to 10 percent, if the Spanish entity ...
Uruguay Tax Agency Posts Consultation Clarifying Application of DTA With Spain to Service, Royalty Payments
May 13, 2026, 5:00 AM UTC