cancel

United States – Update: U.S. Treasury Terminates Tax Treaty with Hungary

GMS Flash Alert 2022-141 | July 27, 2022

The U.S. Treasury Department (Treasury) announced that Hungary was notified on July 8, 2022, that the United States would terminate its tax treaty with Hungary.1 In accordance with the treaty’s provisions on termination, termination will be effective on January 8, 2023. However, with respect to taxes withheld at source, the treaty will cease to have effect on January 1, 2024. In respect of other taxes, the treaty ceases to have effect with respect to taxable periods beginning on or after January 1, 2024. (For prior coverage, see GMS Flash Alert 2022-133, July 13, 2022.)

Why this matters

Treaty benefits enjoyed by individual taxpayers under the U.S.-Hungary Income Tax Treaty will no longer be available once the treaty termination is effective. As a result, benefits of lower tax rates on certain income (e.g., interest, dividends), exclusion for certain employment income, as well as relief from double taxation would expire with the termination. This could give rise to double taxation without relief for individual taxpayers and higher international assignment costs for mobility programs. 

Background and More Details

Treaty benefits enjoyed by individual taxpayers under the U.S.-Hungary Income Tax Treaty will no longer be available once the treaty termination is effective. As a result, benefits of lower tax rates on certain income (e.g., interest, dividends), exclusion for certain employment income, as well as relief from double taxation would expire with the termination. This could give rise to double taxation without relief for individual taxpayers and higher international assignment costs for mobility programs. 

Treasury’s decision to terminate the treaty follows Hungary’s opposition to a global corporate tax overhaul. The European Union (EU) has been trying to unanimously implement global minimum corporate tax rules, known as Pillar 2 of the OECD’s Pillar Two Model Rules.3 Pillar 2 seeks to ensure that large multinational companies pay an effective tax rate of 15 percent in the countries in which they operate. All EU member states except Poland had agreed to adopt Pillar 2 in May. However, as reported, the Hungarian parliament adopted a resolution on June 21 to reject the new Pillar 2 rules. All EU tax directives require unanimity among EU member states for implementation. While Poland has ultimately agreed to adopt Pillar 2, Hungary’s opposition effectively blocks the directive from being implemented.

Hungary’s opposition to Pillar 2 may have exacerbated the Treasury’s concerns about the inequities of the current treaty.4 Treasury concluded that the treaty no longer provided reciprocal benefits and left the United States with significant loss of potential tax revenues. 

Notably, an updated treaty that has been agreed to by both countries has been pending in the U.S. Senate since 2010. 

Additional Resources

pdf

Download the PDF


Footnotes

1 U.S. Department of the Treasury’s read-out, United States’ Notification of Termination of 1979 Tax Convention with Hungary, (July 15, 2022), https://home.treasury.gov/news/press-releases/jy0872. See also, "U.S. income tax treaty with Hungary reportedly being terminated," in TaxNewsFlash-United States (July 11, 2022), a publication of the KPMG International member firm in the United States. 

2 For text of the 1979 U.S.-Hungary income tax treaty and the technical explanation, see: https://www.irs.gov/businesses/international-businesses/hungary-tax-treaty-documents .

3 For a related report, see “Treasury to Nix Tax Treaty With Hungary for EU Minimum Tax Veto,” in TaxNotes (online) (July 11, 2022) at: https://www.taxnotes.com/tax-notes-today-federal/treaties/treasury-nix-tax-treaty-hungary-eu-minimum-tax-veto/2022/07/11/7dms4Please note that by clicking on this link, you are leaving the KPMG website for an external site, that KPMG is not affiliated nor is KPMG endorsing its content. The use of the external site and its content may be subject to the terms of use and/or privacy policies of its owner or operator.

4 For a related report, see "U.S. Treasury to end 1979 treaty with global minimum tax holdout Hungary," in Reuters (online) (July 9, 2022) at: https://www.reuters.com/world/europe/us-treasury-end-1979-treaty-with-global-minimum-tax-holdout-hungary-2022-07-08/ . Please note that by clicking on this link, you are leaving the KPMG website for an external site, that KPMG is not affiliated nor is KPMG endorsing its content. The use of the external site and its content may be subject to the terms of use and/or privacy policies of its owner or operator.


Disclaimer

The above information is not intended to be "written advice concerning one or more Federal tax matters" subject to the requirements of section 10.37(a)(2) of Treasury Department Circular 230 as the content of this document is issued for general informational purposes only.

The information contained in this newsletter was submitted by the KPMG International member firm in United States.

GMS Flash Alert is a Global Mobility Services publication of the KPMG LLP Washington National Tax practice. The KPMG name and logo are trademarks used under license by the independent member firms of the KPMG global organization. KPMG International Limited is a private English company limited by guarantee and does not provide services to clients. No member firm has any authority to obligate or bind KPMG International or any other member firm vis-à-vis third parties, nor does KPMG International have any such authority to obligate or bind any member firm. The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation.

© 2024 KPMG LLP, a Delaware limited liability partnership and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.

For more detail about the structure of the KPMG global organization please visit https://kpmg.com/governance.