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As of January 1st, 2006 onwards, earnings on capital and money market instruments are subject to a flat-rate withholding tax, in accordance with the provisional clause 67 of the Revenue Code, added by the clause 30 of Law no. 5281.

Under the new tax regime effective until December 31, 2015, withholding will constitute the final tax liability for Turkish and foreign-domiciled real persons and these earnings need not be declared in a separate tax return.