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Recently, the Ministry of Finance published Letter No. 03-03-06/4/44331 issued on 23 October 2013 clarifying whether corporate income tax withheld by a Bulgarian branch belonging to a Russian company could be credited against the corporate income tax liabilities in Russia. A Russian company, member of a consolidated group of taxpayers, registered a branch in Bulgaria, which acquired engineering services from another Russian company, a member of the same consolidated group. The Bulgarian branch acting as a tax agent withheld corporate income tax from the income paid to the Russian provider of engineering services. The Ministry of Finance clarified that according...