Your Legal Experts in Guyana
The law firm of Hughes, Fields & Stoby has a wealth of experience representing clients in a broad array of practice areas including:
Technology & Support Services
The Firm makes extensive use of legal and administrative personnel to provide the appropriate skill level for the legal services required by our clients. Hughes, Fields & Stoby keeps pace with today’s technology by providing our lawyers, staff and clients with the most advanced technology tools available to facilitate the practice of law.
Professional Services
At Hughes, Fields & Stoby, our partner lawyers: Clarence Antony Nigel Hughes, Andrew Mark Fitzgerald Pollard, Christobel Elizabeth Deane-Hughes and Gregory Clark work with your associate lawyers: Donna Bailey, Jed Vasconcellos and Asa Stuart Shepherd, Savannah Barnwell, Stephen Roberts, Kezia Williams, and Prithima Kissoon in a team environment providing the highest level of professional services.
Results-Oriented
Hughes, Fields & Stoby stresses and clients rightfully expect good results. To that end, our firm employs innovative, pragmatic strategies and hard work to ensure that our clients’ legal needs are met.
Practice Areas
We offer our clients expert legal advice on doing business in Guyana.
Legislative Advocacy Services
Our firm stands ready to be an advocate on behalf of our clients vis-à-vis the Guyana government related to modifications or changes our clients believe should be made to improve, enhance or clarify existing Guyana laws or any drafts for new laws, rules, regulations or policies affecting the oil and gas industry in Guyana. This key service should assist the government to enact world-class laws, rules, regulations and policies that are fair, reasonable, and transparent for all parties, rather than enacting laws, rules, regulations and policies that are heavy-handed, overreaching or counter-productive. It is envisaged that our firm could offer this “Legislative Advocacy” service to our clients on either a retainer basis or on an hourly basis, however preferred by each client.
READ MORELegislative Watchman Services
Our firm will (i) track drafts of Guyana laws, rules, regulations and policies that could impact our clients, (ii) provide our clients with copies of such draft laws, rules, regulations or policies, if they are available, and (iii) provide our clients with memoranda that identify the specific clauses in such draft legal documents that could impact them, including the possible nature/scope of such impact. It is envisaged that our firm would provide this service to our clients on a retainer basis, for those clients who desire this “Legislative Watchmen” service.
READ MORETaxes
Direct Taxes Income Tax– A tax levied on the chargeable income of individuals, accruing in Guyana or elsewhere, at a rate of 20% up to $350,000 and 33.333% thereafter. Corporation Tax– A tax levied against the profits of any body corporate or incorporate, excluding a partnership, at a rate of 35% for non-commercial companies and 45% for commercial companies. Property Tax– A tax levied on the value of property (movable and immovable). The tax is levied on property valued in excess of $1,500,000 at a rate of up to .75% for companies and in excess of $7,500,000 at a rate of up to .75% for individuals. Capital Gains Tax– A tax levied at a rate of 20% on the net chargeable gains derived from the disposal of capital assets. Social Security Tax and National Insurance– A tax in the form of contributions to the Social security and National Insurance Scheme borne by the employee and employer in the proportions of 4.8% and 7.2% respectively. Withholding Tax– A tax levied at rates between 10%-15% on payments to non-residents (and residents in some cases). Indirect Taxes Customs Duty– A tax at varying rates on imported goods. Rates vary between 5% and 15% depending on the classification of the goods. Stamp Duty– A tax levied at varying rates on various instruments, including Deeds of Conveyance, receipts, Bills of Exchange, Mortgages, Powers of Attorney and Policies of Insurance. Consumption Tax– A tax levied on goods manufactured for local consumption, whether manufactured in Guyana or not. Rates of tax vary between 0%-30% depending on the classification of the goods. Income Tax The Income Tax Act defines income as the gains or profits from any office or employment, including compensation for the termination of any contract of employment, the estimated value of any quarters, board or residence or any other allowance granted in respect of employment whether in money or otherwise, other than an allowance for medical or dental expenses, or for any passage to or from Guyana. Employment is the position of an individual in the service of some other person, including the Government and employment income includes salaries, wages, overtime pay, leave pay, sick bonus, stipends, commissions, compensation for termination of service and the estimated value of any quarters, board or residence. Administration The tax year is the calendar year. Tax returns are required to be completed annually, signed and submitted to the Inland Revenue Department not later than April 30, following the year of income. Tax is levied on the chargeable income of any person accruing in or derived from Guyana or elsewhere, and whether received in Guyana or not. Chargeable income is such income in excess of the tax-free personal allowance, i.e. $18,000 per month/ $216,000 per annum. Tax is payable on the following categories of income: Business income Employment income Certain classes of dividends, interest or discounts Charges for annuities other than an annuity paid out of a superannuation fund Property income Payment of tax Employed persons are taxed on a pay-as-you-earn (PAYE) basis. It is the obligation of the employer to remit the taxes payable. This is usually done by payroll deduction. Self-employed persons, i.e., by way of any trade, business, profession or vocation, are required to pay advance taxes based on the chargeable income of the preceding year, in quarterly installments, i.e at April 1, July 1, October 1 and December 31. Any balance of taxes due after the returns have been filed should be paid on or before April 30 of the following year. Where a person is employed or carries on a business for only one part of the year he is required to prepare and submit a tax return for all the income earned during the period and that income shall constitute his income for the year. Non-residents: A non-resident for tax purposes is one who resides in Guyana for 183 days or less in a twelve month period. There is no distinction between resident and non-resident workers with respect to the taxation of income arising in Guyana. Non-residents are required to prepare an income tax return for all income earned during their stay in Guyana. That income constitutes the individual’s earnings for the year. All taxes due after the return has been filed must be paid over to the Commissioner of Inland Revenue on or before April 30 of the following year. Penalties: Late submissions attract a penalty of two percent (2%) of the tax assessed or five percent (5%) if the return is not submitted within the time specified in a Demand Notice. Rates of tax The tax-free personal allowance is G$216,000 per annum or G$18,000 per month. Tax is computed on a progressive basis. On income between G$216,000 and G$350,000 a rate of 20% is charged. On Income in excess of G$350,000 a rate of 33.3333 % is charged. Non-taxable allowances The following allowances paid to employees are non-taxable: Traveling allowance Company car in the place of a traveling allowance Station allowance, subsistence, entertainment and meals Security and telephone Allowance for medical or dental expenses or for any passage to and from Guyana.There is no prescribed limit for tax-free allowances. However, the Commissioner of Inland Revenue may deem certain amounts excessive and find such excess taxable. These allowances should therefore be reasonable in the circumstances of each individual. Income exempt from tax: Income exempt from tax includes: Emoluments payable to members of permanent consular services of foreign countries for services rendered in their official capacity. Emoluments payable to personnel of a Government other than the Government of Guyana who are in Guyana in connection with a technical co-operation or assistance programme or project where the agreement establishing such programme or project provides. Emoluments payable to personnel of the Government of the United States of America in connection with a programme or project to be carried out under the Agreement for Technical Co-operation 1951. Income arising from any scholarship, exhibition, bursary or any similar educational endowment held by a person receiving full time instruction at a University, College, school or other educational establishment. Any emoluments payable under an incentive scheme approved by the Minister. Social security Benefits. Corporation Tax Under the Corporation Tax Act, corporation tax is payable upon the profits of any body corporate or incorporate, excluding a partnership, accruing in or derived from Guyana, whether received in Guyana or not. Income from the following sources is taxable: any trade or business; any profession or vocation or management charges or charges for the provision of personal services and technical and managerial skills; Capital gains accruing on the disposal of property within twelve months of its acquisition; interests, discounts, annuities or other accrued or periodic payment received for the use of capital; Premiums, commissions and fees. Rentals and royalties paid for the use or the right to use: (1) copyrights, artistic or scientific work, patents, designs, plans, secret processes or formulae, trade marks, motion picture films, films or tapes for radio and television broadcasting or other like properties or rights, or (ii) information concerning industrial, commercial or scientific knowledge, experience or skill; and Dividends and other income from non-resident companies and other persons and entities including partnerships. Resident and non-resident companies: Resident companies are liable to tax on their world-wide income. A company is deemed resident in Guyana if its control and management are exercised in Guyana. Non-resident companies which carry on a trade or business in Guyana are subject to tax on that income which is derived form Guyana whether or not it is received in Guyana. Rate of tax The rate of corporation tax for commercial companies is forty-five percent (45%) and for non- commercial companies is thirty-five percent (35%). A commercial company is one that derives at least seventy- five percent (75%) of its gross income from goods not manufactured by it or if it is engaged in telecommunication, banking or insurance other than long-term insurance. Companies are subject to tax on the income reported in their financial statements prepared in accordance with generally accepted accounting principles and subject to certain adjustments. Special tax rates: There are no special tax rates applying to particular industries. Minimum Corporation Tax: A Minimum Corporation Tax (MCT) of two percent (2%) of turnover is payable by commercial companies. Loss Relief: Companies may carry forward loss for an unlimited number of years, but such losses may not reduce the taxable income in any year by more than fifty percent (50%) or in the case of commercial companies the tax payable to less than two percent (2%) of turnover. Loss carry-backs are not permitted. Deductibles: The Act allows for tax purposes the deductibility of all expenses of a revenue nature wholly and exclusively incurred in the production of income. The principles of deductibility are generally similar to those which apply in North America and the United Kingdom. Deductions for administrative, technical, professional or other managerial service fees paid to a non-resident company or branch referred to in the Act as “head office expenses” may not exceed one percent (1%) of annual turnover. Charitable donations are not deductible unless these are made under a Deed of Covenant. Foreign Tax Relief: Foreign Tax Relief is available under Double Tax Treaties with Canada, the United Kingdom and the Members of the Caribbean Community. Guyana may grant unilateral relief for foreign taxes paid in countries with tax systems and legislation similar to those in Guyana. Payment of Corporation tax Corporation Tax is payable in advance quarterly instalments on the preceding year’s tax liability. Advance tax payments are due on March 15, June 15, September 15 and December 15 of the calendar year prior to the tax year. However, the Commissioner of Inland Revenue may require the company to calculate the payments based on estimated income for the current year. Tax returns must be filed and any balance of tax due, paid by April 30 of the tax year. Failure to comply incurs a further charge of forty-five percent (45%) on chargeable income for the first year and fifty percent (50%) thereafter. Taxation of Dividends Individuals: Dividends paid by companies resident in Guyana to individuals resident in Guyana are non-taxable. Income Tax is payable in respect of dividends paid to individuals by companies not resident in Guyana. Withholding tax at a rate of fifteen percent (15%) is payable on gross distributions made to any person not resident in Guyana. Companies: Corporation tax is payable in respect of dividends received by resident companies from non-resident companies. However, dividends paid by resident companies to other resident companies are exempt from tax. A final withholding tax of fifteen percent (15%) is imposed on dividends paid to non-resident companies. General: Resident companies and individuals must include dividends received from non-resident companies in calculating their taxable income. Property Tax Individuals and companies with property in Guyana are liable to tax on the value of such property. Property includes movable and immovable property, cash, receivables and other rights. Liabilities are deducted from the amount of property and the tax is payable on April 30 at the specified rate. Rates of Property Tax: Companies On the first $1,500,000 of Net Property Nil On every dollar of the next $5,000,000 1/2% On every dollar of the remainder 3/4% Other Persons On the first $7,500,000 of Net Property Nil On every dollar of the next $5,000,000 1/2% On every dollar of the remainder 3/4% The filing and payment deadline for property taxes is April 30 of the following tax year. Non-compliance results in penalties similar to those applicable to Corporation Tax and Income Tax. Capital Gains Tax Capital gains tax is imposed on the net chargeable gains derived from the disposal of capital assets. Gains derived within twelve (12) months of the acquisition date are treated as ordinary income and subject to corporate/income tax at the applicable rates. Gains on assets disposed of between one and twenty-five years are chargeable at the rate of 20%. Capital Gains Tax is not chargeable on the transfer of shares or stock held in a public company limited by shares. In the case of a company which was a private company immediately before March 7, 1994 and was subsequently converted into a public company limited by shares, the exemption applies only to capital gains arising from the change of ownership of shares or stock after the expiry of two years from the date on which the company was converted. Social Security Tax and National Insurance The National Insurance and Social Security Act provides for the compulsory participation in the National Insurance Scheme. There is no provision which enables employees or employers to exempt themselves from participation. Contributions at the following rates are compulsory and must be deducted by the employer and paid over by the fifteenth (15th) day of the following month: Employee 4.8% of insurable earnings Employer 7.2% of insurable earnings The insurable earnings ceiling is $60,000 per month. This limits employee and employer contributions to a maximum of $2,880 and $4,320 respectively. Withholding Tax Withholding tax is chargeable on the following classes of income: any gross distribution made to any person not resident in Guyana any gross payment other than interest identified below, made to any person not resident not resident in Guyana or to any person on behalf of such non-resident person, where such person is not engaged in trade or business in Guyana, so, however, that in the case of payment of income arising outside Guyana to such a person withholding tax shall not be payable; gross payments, being interest earned on saving accounts held at commercial banks and other financial institutions by any person whether resident in Guyana or not; gross payments, being interest earned on loans secured by bonds and similar instruments by any person resident in Guyana or not; every discount earned on treasury bills by the person who discounts the bill whether on or before maturity. Non-residents: The following payments to non- residents are subject to withholding tax: interest on any debt, mortgage or other security; rentals; royalties; management charges or charges for the provision of personal services and technical managerial skills; premium (other than premiums paid to insurance companies and contributions to pension funds and schemes) commissions, fees and licences; discounts, annuities or other annual or periodic payments; dividends; such other payments as may from time to time be prescribed.A ‘payment’ is one without any deductions. Rates of withholding Tax Interest 15% Distributions 15% Other payments 10% Withholding tax rates under Double Taxation Treaties: Dividends Interest Royalties Canada 15% 15% 10% United Kingdom 15% 15% 15% CARICOM 0% 15% 15% Payment of withholding tax Withholding tax is chargeable on payments without any deductions whatsoever. Withholding tax must be paid within thirty (30) days of payment of amounts subject thereto. Withholding tax on branch profits The profit of branches of companies remitted or deemed to be remitted is a distribution for withholding tax purposes. Where an office, branch or agency of any non-resident company engaged in trade or business in Guyana remits or is deemed to remit any part of the profits of such non-resident company accruing in or derived from Guyana, such office, branch or agency is liable to withholding tax. An office or agency of a non- resident company is deemed to have remitted its profits in every event, except to the extent that it has reinvested to the satisfaction of the Commissioner of Inland revenue, such profits or any part thereof in Guyana. In determining the reinvestment of such profits the replacement of fixed assets or investments in securities held for a period of less than thirteen months are not considered. “Profit” means profit after payment of any corporation tax. Non- resident companies A non- resident company for the purposes of withholding tax is a company ‘the control and management of whose business are exercised outside Guyana’. An overseas company with a branch in Guyana is not resident in Guyana by virtue of the establishment of such branch, but may be assessed through the branch. Tax Holidays Tax holidays are granted in respect of pioneering activities, that is, to companies whose trade or business are wholly of a developmental and risk- bearing nature and likely to be instrumental to the development of the resources of and beneficial to Guyana. This does not include trade or business carried on by a gold or diamond mining company or a company carrying on petroleum operations. Tax holidays are granted for a period of up to ten (10) years and apply to the part of a trade or business carried on by a company that is pioneering in nature. Foreign Tax Relief Guyana may grant unilateral tax relief for foreign taxes paid in countries with tax systems and legislation similar to those in Guyana. For members of the British Commonwealth, the relief is 50% of the relief that would be available if the foreign country were a treaty country. For other countries the relief if 25% of such available relief. The available relief is the lower of the tax rate in Guyana and the tax rate in the other country. Double taxation Foreign tax relief is available under Double Taxation Agreements which provide generally for the avoidance of double taxation, the prevention of fiscal evasion with respect to taxes on income and for the encouragement of international trade and investment. Guyana has concluded double taxation treaties with Canada, the United Kingdom of Great Britain and Northern Ireland and CARICOM. The Double Taxation relief (Taxes on Income) (Canada) Order 1987 The Double Taxation Relief (Taxes on Income) (United Kingdom of Great Britain and Northern Ireland) Order 1992; and The Double Taxation Relief (Taxes on Income) (Member States of the Caribbean Community) Order 1995 The United States of America Guyana is party to an agreement with the Government of the United States of America for the exchange of information with respect to taxes- The Income Tax (Exchange of Information) (United States of America) Order 1992. This Agreement covers Federal income taxes, Federal taxes on self-employment Income, Federal taxes on transfers to avoid income tax, Federal estate and gift taxes and Federal excise taxes in respect of the United States of America and Income, Corporation, Property and Capital Gains Tax in respect of Guyana. Stamp Duty Stamp duty is levied on several instruments including affidavits, statutory declarations, Deeds of Conveyance, Mortgages, Share transfers, Awards of Arbitrator, Powers of Attorney, Agreements, Bills of Exchange, Receipts and Policies of Insurance. Some of the more common instruments and the stamp duty payable are: 1. Sale or purchase of stock or marketable security where face value exceeds $100- 2% of face value of transaction 2. Conveyance or transfer on the sale of a bond, debenture, scrip or share- One-half of one percent (0.5%) of the consideration for the sale. 3. Affidavits and statutory declarations- $10 4. Award of Arbitrator where value of matter in dispute exceeds $100- 2% of face value of the transaction 5. Appointment of a new trustee, appointment in execution of a power of any property or interest in any property by an instrument other than a will- $15 6. Deeds and Notarial Acts in lieu thereof- Between $25-$150 7. One year multiple entry visa to Guyana- $100; One year transit visa- $50 8. Renewal of Passport- $500 9. Sale of property- Land in Guyana is held either by Transport or a Certificate of Title. The stamp duty on sale of land differs in each case. The rate of duty on land held by Transport- 2% of value of the land. The rate of duty on land held under a Certificate of Title- 2.5% of value of land. Customs Duty Customs duty is paid on all goods imported into Guyana. The rates of duty vary between 5%-150% depending on the classification of the item in question. Rates of duty are highest on ‘Luxury items’ which include perfumes. The classification of goods is governed by the provisions of the Customs Act. Consumption Tax ‘C Tax’ as it is referred to, is levied on any goods manufactured for local consumption, whether manufactured in Guyana or not. Rates of tax vary between 0%-30% depending on the classification of the item in the Schedules to the Consumption Tax Act. Some goods are or may be exempt from tax by Order of the Minister of Finance. Such exemptions are not permanent and may rescinded at any time by similar process. Tax is charged on the ‘transaction value’ of the item. This is the actual value plus freight. Tax Legislation 1. Tax Act, Cap. 80:01 2. Consumption Tax Act, Cap. 80:02 3. Income Tax Act, Cap.81:01 4. Income Tax (In Aid of Industry) Act, Cap. 81:02 5. Corporation Tax Act, Cap. 81:03 6. Capital Gains Tax Act, Cap. 81:20 7. Property Tax Act, Cap. 81:21 8. Customs Act, Cap. 82:01 9. National Insurance and Social Security Act, Cap. 36:01 Making Contact 1. Inland Revenue Department- mailing add, tel, fax, e-mail 2. Customs & Excise Department 3. National Insurance Scheme Disclaimer:The information contained in this website is not intended to replace the advice of an attorney-at-law. For further information or legal advice we invite you to contact our office.
READ MOREWills and Estates
Grants of Representation: To deal with the property of a deceased person the approval of the High Court must first be obtained. Approval is in the form of a Grant of Representation. There are two main forms of Grants of Representation: 1. Grants of Probate- which are issued where the deceased died testate, that is, leaving a will in which an executor was appointed. This grant is made to the executor appointed in the will. 2. Grants of Letters of Administration- which are grants appointing an administrator for the estate of the deceased. They are issued where the deceased died testate leaving a will but not appointing an executor or where the executor appointed is for some reason unwilling or unable to Act. Who is entitled to apply for a Grant? Grants of probate or administration are made on the application of the intended executor or administrator to the High Court. The executor appointed in the will is entitled to apply for a Grant of Probate. Grants of Administration are generally issued to relatives of the deceased in order of their entitlement to the property of the estate, although in some circumstances the creditors of the deceased may apply. Estate Duty Certificate: A certificate evidencing payment of estate duty at the applicable rate must be issued before a Grant may be obtained. An application must be made to the Estate Duty section of the Inland Revenue Department for the issue of such certificate. The certificate must be obtained prior to the application for the Grant. Applying for a Grant: Applications are made by lodging the requisite documents in the Probate Section of the Registry of the Supreme Court. The application is addressed to the High Court and granted by the Registrar pursuant to the order of a judge. Applications in respect of large estates (in excess of $25,000) are usually made by an attorney-at-law on behalf of the applicant. The minimum period the issue of a Grant of representation is approximately 6 weeks. Grants of Probate: Applications for grants of Probate are made ex parte by the named executor. The documents required in making the application include: Application for grant- setting out a list of the documents lodged and signed by an attorney-at-law. Oath of executor Affidavit of due execution Statement of assets and liabilities Certificate of Proper Officer Original Will Certified copy of the Death Certificate Grants of letters of administration: The persons entitle apply for a Grant of Letters of Administration are generally those entitled to benefit on intestacy. However, the court may appoint any person to administer the estate of an individual who died intestate where it considers it expedient to do so. Applications for Grants of Letters of Administration are made through an attorney-at-law and must be accompanied by: Oath of Administrator Statement of assets and liabilities Certificate of proper officer Certified copy of Death Certificate Administrator’s Bond Justification of sureties Marriage/ Birth certificate, adoption order, affiliation order, affidavit of Kin Consent/ Notice Entitlement to property on intestacy: The rules governing intestate succession are set out in the Civil Law of Guyana Act, Cap. 6:01. Under this Act a surviving spouse is entitled to one-third of the intestate’s residuary estate and the rest is divided in equal parts among the intestate’s children. Where the intestate had no children, one half of the estate goes to the surviving spouse and the remainder to his/her next of kin in order of priority. Small Estates: A small estate is one worth less than $25,000. Applications for the issue of a Grant are made with the assistance of the Registrar who prepares the necessary documents required by the court for a Grant of Representation. The procedure for application is similar to that when applying in the case of a large estate, that is one valued at in excess of $25,000. The usual practice is that the Public Trustee is appointed administrator where the small estate of an individual who died intestate is administered without a Grant. Estate Duty: In order to obtain the Certificate of Proper Officer certain documents must be lodged in the Estate Division of the Inland Revenue Department. Estate Duty is calculated at a rate of half of one percent (0.5%) of the gross value of the estate. Attorney Fees: Attorneys charge a fee of 5% of the value of the estate. Making Contact: Inland Revenue Department Estate Duty Section 357 Lamaha Street Georgetown Tel. # 592.2.63189 Deeds Registry Charlotte Street & Avenue of the Republic Stabroek Tel. # 592.2.51129 Disclaimer:The information contained in this website is not intended to replace the advice of an attorney-at-law. For further information or legal advice we invite you to contact our office.
READ MOREOther Practice Areas
Administrative Law
Adoptions
Advertising and Brand Litigation
Civil Litigation
Commercial Law
Commercial Litigation
Conveyance – Deeds
Criminal Law
Criminal Litigation
Divorce
Immigration Services
Insurance (General, Marine and Re-insurance)
International Business
International Law
Joint Ventures
Labor and Employment
Medical Malpractice
Mergers and Acquisitions
Offshore Investments
Personal Injury
Public Utilities
Real Estate
Securities
Recent News
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Hughes Fields and Stoby’s managing Partner invited to represent the Maya Leaders in the clebrated CCJ case of The Maya Leaders Alliance v The Attorney General of Belize
Managing Partner of Hughes Fields and Stoby, C.A. Nigel Hughes, was invited to and has joined the team representing the Maya Leaders Alliance in the...
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Clarence A. F Hughes S.C, founder and former Managing Partner of Hughes Fields and Stoby was recognized and conferred with the status of "Legendary...
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Hughes Fields and Stoby Celebrates 50 Years!!
Come Celebrate our Journey of 50 years of serving all people and from all walks of life through our pictures of our celebration extravaganza!...
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