🇧🇲 Bermuda

North America · ISORA participant ·

Bermuda has implemented statutory country-by-country reporting requirements. The jurisdiction does not utilize automated bulk data matching, controlled foreign company rules, or interest limitation rules.Auto-generated summary of the verified data below; every fact traces to a source on this page.

6/11
enforcement powers assessed

Headline statutory rates

As stated in PwC Worldwide Tax Summaries’ territory overview (fetched 2026-08-20) — the wording is PwC’s; source.

TaxHeadline rate as stated
Headline PIT rateNA
Headline CIT rate15% (if subject to Bermuda CIT) or 0%
Standard VAT rateNA
Headline individual capital gains tax rateNA
Headline corporate capital gains tax rateNA
WHT rates (%) (Dividends/Interest/Royalties)NA
Headline net wealth/worth tax rateNA
Headline inheritance tax rateNA
Headline gift tax rateNA NA stands for Not Applicable (i.e. the territory does not have the indicated tax or requirement) NP stands for Not Provided (i.e. the information is not currently provided in this chart)

Enforcement powers

Automated bulk data matching  No — power absent

Self-reported to ISORA (International Survey on Revenue Administration), FY2022.

ISORA indicator "Administration undertakes fully automated compliance checks based on data matching/analysis" — value: No

Source: IMF ISORA — International Survey on Revenue AdministrationOECD / IMF survey data · derived from the administration’s own survey answer

Crypto-asset reporting  Partial / committed

Listed by the OECD Global Forum as committed to implement the Crypto-Asset Reporting Framework in time for first exchanges by 2027 (list updated 17 June 2025).

Belgium, Bermuda, Brazil

Source: OECD Global Forum — Jurisdictions committed to implement the Crypto-Asset Reporting FrameworkOfficial source · quote machine-verified 2026-08-25

Controlled foreign company (CFC) rules  No — power absent

Recorded in the OECD Corporate Tax Statistics anti-avoidance rules dataset (2026).

OECD Corporate Tax Statistics: "Is there a controlled foreign company rule in place? · Not applicable" — No

Source: OECD Corporate Tax StatisticsOECD / IMF survey data · derived from the administration’s own survey answer

Interest limitation rules  No — power absent

Recorded in the OECD Corporate Tax Statistics anti-avoidance rules dataset (2026).

OECD Corporate Tax Statistics: "Is there an interest limitation rule in place? · Not applicable" — No

Source: OECD Corporate Tax StatisticsOECD / IMF survey data · derived from the administration’s own survey answer

Country-by-country reporting  Yes — statutory power

Recorded in the OECD Corporate Tax Statistics anti-avoidance rules dataset (0).

OECD Corporate Tax Statistics: "Is there a country-by-country reporting law in place?" — Yes

Source: OECD Corporate Tax StatisticsOECD / IMF survey data · derived from the administration’s own survey answer

Public naming of non-compliant taxpayers  No — power absent

Self-reported to ISORA (International Survey on Revenue Administration), FY2022.

ISORA indicator "Administration is empowered to make public details of some / all taxpayers subject to administrative penalties imposed for non-disclosure" — value: No

Source: IMF ISORA — International Survey on Revenue AdministrationOECD / IMF survey data · derived from the administration’s own survey answer

Anti-avoidance regime detail (OECD Corporate Tax Statistics)

OECD-curated descriptions of this jurisdiction’s CFC, interest-limitation, CbCR and IP-regime rules.

CFC rules2 data points
Is there a controlled foreign company rule in place? · Regime 1No
Is there a controlled foreign company rule in place? · Not applicableNo
Interest limitation2 data points
Is there an interest limitation rule in place? · Rule 1No
Is there an interest limitation rule in place? · Not applicableNo
Country-by-country reporting4 data points
Is there a country-by-country reporting law in place?Yes
Deadline by which filings must be submitted12 months
Reports are required for MNEs with annual revenues aboveEUR 750 million
Headquarter jurisidiction filing required from01-Jan-16

Administration self-reported metrics (ISORA)

Reported by the administration itself to the IMF/OECD/CIAT/IOTA International Survey on Revenue Administration. 1 = yes, 0 = no for policy questions.

IndicatorYearValue
Population per FTE20242228.827586206897
Labor force per FTE20241292.51724137931
Closing stock of collectable arrears as percentage of closing stock of arrears202469.99969821645927
Additional assessments raised through all audits and verification actions as percentage of tax collections20240.0340791947122673
Audit hit rate202491.66666666666667
Percentage of tax returns - Electronic, not prefilled - PAYE202268.21630033
Percentage of tax returns - Electronic, prefilled, modified by taxpayer - PAYE20220
Percentage of tax returns - Electronic, prefilled not modified by taxpayer - PAYE20220
Availability of specific powers in legislation / regulation to assist in collecting tax arrears20221
Administrative sanctions for taxpayer non-disclosure - Common administrative penalty framework for non-disclosure across the major tax types20221
Administrative sanctions for taxpayer non-disclosure - Penalties imposed generally take account of taxpayers' culpability (i.e. degree of blame)20220
Administrative sanctions for taxpayer non-disclosure - Administration is empowered to remit / reduce penalties in appropriate circumstances20221
Administrative sanctions for taxpayer non-disclosure - Administration is empowered to make public details of some / all taxpayers subject to administrative penalties imposed for non-disclosure20220
On-time filing rate % - PAYE202258.93298445
Administration pre-fills PIT returns or assessments20210
Administration conducts random audits20220
E-filing mandatory - Employer Withholdings20221
E-payment mandatory - Employer Withholdings20221
Employers withholding taxes on behalf of salaried employees20240
Percentage of payments received electronically-By number of payments202470
Percentage of payments received electronically-By value of payments202499.69
Cooperative compliance approach exists for -Large taxpayers20240
Cooperative compliance approach exists for -HNWI taxpayers20240
Cooperative compliance approach exists for -Other taxpayers20240
Most employees that have tax deducted through direct withholding required to file a return20220
Administration receives data from devices that register transactions20240
Administration uses electronic compliance checks as part of returns filing process20241
Administration has specialized audit staff for international tax issues20220
Administration has systems for importing, storing and managing third-party data - Customs data20220
Administration has systems for importing, storing and managing third-party data - Data from stock exchanges20220
Administration has systems for importing, storing and managing third-party data - Data from the Social Security Agency20220
Administration has systems for importing, storing and managing third-party data - Data from online (internet-based) vendors20220
Administration has systems for importing, storing and managing third-party data - Data from Utilities20220
Administration checks the quality of data reported by third parties on a systematic basis20220
Administration has systems for importing, storing and managing third-party data - Data on property ownership and sales20220
Administration undertakes fully automated compliance checks based on data matching/analysis20220
Administration measures the effectiveness of any compliance interventions undertaken20220
Administration has standards for auditor productivity20221