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The rate at which interest can be taxed under the Double Tax Treaty between Chile and Uruguay is modified as of 1 January 2023.On 5 September 2018, Uruguay and Chile signed the Income and Capital Tax Treaty to eliminate doble taxation between both countries, issued by the Law 19,548.On 6 February 2023, the Uruguayan Tax Administration informed that the rate at which interest can be taxed under the Double Tax Treaty (the Treaty) was modified due to application of the Most Favored Nation (MFN) clause in the Double Tax Treaty Protocol. As a result of the MFN clause, the interest...