Menu
  • Locations
  • About Us
  • Services
  • Experts
  • News & Knowledge
  • Hot Topics
  • Culture & Career
  • Locations
  • Search
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
  • Albania
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Chile
  • China
  • Colombia
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Estonia
  • Finland
  • France
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malaysia
  • Mali
  • Malta
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • Saudi Arabia
  • Senegal
  • Serbia
  • Seychelles
  • Singapore
  • Slovakia
  • Slovenia
  • South Africa
  • Spain
  • Sri Lanka
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
  • Sustainability & Tax at WTS Global
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
  • Real Estate
  • Digital Tax Law
  • European Tax Law
  • Latest News
  • Brochures
  • Newsletters
  • Surveys & Studies
  • Pillar Two
  • FIT for CBAM
  • Tax Sustainability Index
  • ViDA - VAT in the Digital Age
  • EU WHT Reclaims
  • AI playground
  • Culture and Leadership
  • Diversity
  • WTS Global Academy
  • Career
  • Pillar Two Team
  • Pillar Two - Implementation Status Wordwide
  • Press
  • Events & Webinars
  • CI Guide
  • Contact
WTS worldwide
  • Albania
  • Algeria
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Cape Verde
  • Central African Republic
  • Chad
  • Chile
  • China
  • Colombia
  • Congo Brazzaville
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Democratic Republic of Congo
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Equatorial Guinea
  • Estonia
  • Eswatini
  • Ethiopia
  • Finland
  • France
  • Gabon
  • Gambia
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Guinea-Bissau
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Liberia
  • Libya
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malawi
  • Malaysia
  • Mali
  • Malta
  • Mauritania
  • Mauritius
  • Mexico
  • Moldova
  • Mongolia
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • São Tomé and Príncipe
  • Saudi Arabia
  • Senegal
  • Serbia
  • Sierra Leone
  • Singapore
  • Slovakia
  • Slovenia
  • Somalia
  • South Africa
  • South Sudan
  • Spain
  • Sri Lanka
  • Sudan
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • Zimbabwe
  • About Us
    About Us

    Here you will find more information on our organization’s structure, experts and global reach.

    Read more
    About Us Our CEO Our Supervisory Board Our Global Executive Team Quality, Process & Risk Management
    Sustainability & Tax at WTS Global
  • Services
    Services

    Learn more about our network partners and their services.

    Read more
    Customs Financial Services Global Mobility Indirect Tax International Corporate Tax
    Mergers & Acquisitions (M&A) Private Clients & Family Office Sustainability & Tax Tax Certainty & Controversy Tax Technology
    Transfer Pricing & Valuation Real Estate Digital Tax Law European Tax Law
  • Experts
    Experts

    With a representation in over 100 countries, our team offers local expertise on a global scale. Learn more about our experts.

    Read more
  • News & Knowledge
    News & Knowledge

    Welcome to WTS Global Insights. Here you will find news and updates from our worldwide network.

    Read more Newsletter Subscription
    Latest News Brochures Newsletters Surveys & Studies
  • Hot Topics
    Hot Topics

    Overview of the current "Hot Topics" in the tax industry and how we can support with individual questions.

    Read more
    Pillar Two FIT for CBAM Tax Sustainability Index ViDA - VAT in the Digital Age EU WHT Reclaims
    AI playground
  • Culture & Career
    Culture & Career
    Read more
    Culture and Leadership Diversity WTS Global Academy Career
  • Locations
  • Search
28.10.2021

Hungary: New taxation rules for crypto assets

Author
Réka Kiss
Tax director
Hungary
View Profile

With effect from 1 January 2022, the profit realised on crypto asset transactions should be treated as separately taxed income in Hungary. It is definitely good news for Hungarian taxpayers who found it so far difficult to pay their taxes on income from crypto assets.

What are crypto assets and crypto asset transactions?

The European Parliament and the European Council jointly developed the so-called draft MiCA (Markets in Crypto Assets) regulation that defines crypto assets as digital representations of value or rights, which may be transferred and stored electronically, using distributed ledger technology (DLT) or similar technology.

From 2022, the Hungarian Personal Income Tax Act will also use this definition. Crypto asset transactions are ones in which the private individual “acquires financial assets other than crypto assets through the transfer of crypto assets” in a transaction available to anybody.

Taxation of crypto assets in Hungary so far

Given that the Hungarian Personal Income Tax Act currently does not include special rules on the taxation of crypto assets, the income realised through these has to be taxed as other income. Other income forms part of the aggregate tax base and, accordingly, it is also subject to a 15.5% social contribution tax besides the 15% personal income tax.

If private individuals are obliged to pay the social contribution tax themselves, e.g. if the crypto asset is not acquired from a Hungarian financial enterprise, the base of the personal income tax and the social contribution tax is 87% of the income obtained with the crypto asset. So, the overall tax burden in Hungary is 26.5%.

The new legislation

From 2022, the income realised through crypto asset transactions will qualify as separately taxed income. The taxation will be similar to that of controlled capital market transactions.

Generation of revenue

As mentioned above, taxation may arise if the crypto asset is exchanged for a non-crypto asset. So the cases when a crypto asset is exchanged for another crypto asset will not qualify as crypto asset transactions for personal income tax purposes, thus in these cases, no taxable income is generated. In the same way, no revenue is generated upon the production (mining) of the crypto asset.

Additionally, no tax has to be paid (no income assessed) if the revenue from the transaction does not exceed 10% of the minimum wage in Hungary. One additional condition is that no revenue should be generated from other identical transactions on the given date, and that the sum of these smaller revenues should not exceed the minimum wage in the fiscal year.

Defining income

When defining income, the revenue achieved from the transaction must be reduced by the amount used to acquire the asset.

What can qualify as an amount used for acquisition? When participating in mining a crypto asset or in the operation of a related system, the expense that arose in connection with such activity (e.g. IT devices, electricity) can be considered an amount used to acquire the asset. However, it is more common to acquire crypto assets through purchasing than mining. In this case, the amount spent to acquire the asset can be deducted from the revenue.

The transactional profits and losses established this way and realised in the fiscal year should be treated in aggregate. Taxable income is generated if the realised transactional profits exceed the sum of transactional losses as well as the fees and commissions related to the holding of the crypto assets, but not directly connected to the transactions of the fiscal year and the given transaction.

Tax equalisation in Hungary

The taxpayer can apply the loss carry forwards known from controlled capital market transactions in the case of crypto asset transactions as well. If losses are incurred during the transactions in the given fiscal year, the taxpayer can reduce the tax payable by the amount of tax pertaining to the loss within the framework of tax equalisation in the next two years.

Social contribution tax

Considering that the income achieved with the crypto assets will not be part of the aggregate tax base, it will not be subject to social contribution tax. This means the previous overall tax burden of 26.5% will fall to 15% in Hungary.

Transitional rules

For those who previously did not declare their income from crypto assets, the new regulation has a very favourable option in store. Previously unreported income can be declared as a transactional result of 2022, at a more preferential tax rate.

If you wish to discuss these topics, please contact: WTS Klient Tax Advisory Ltd., Budapest

Read the WTS Global Financial Services Newsletter here.

Author
Réka Kiss
Tax director
Hungary
View Profile
Author
Tamás Gyányi
Senior Partner
WTS Global Transfer Pricing Eastern Europe Sub-Regional Leader
Hungary
View Profile
Article published in WTS Global Financial Services Newsletter #22/2021
News from eleven countries with a focus on the international Financial Services industry
View publication
Newsletter Global Financial Services

News on WHT developments affecting the international Financial Services industry.

Subscribe now
Articles you might be interested in

The online invoice data reporting system moved to the next level on 1 January 2021, extending this obligation to almost all sales invoices issued by Hungarian taxpayers, practically meaning that most invoices issued have to be reported from this date.

Hungary: Online invoice reporting and self-billing
Read more

Our colleagues in Hungary explain the current focus of the Hungarian tax authority at Hungarian subsidiaries of foreign companies under the aspect of transfer pricing following the COVID-19 crisis.

Pandemic does not stop TP audits in Hungary
Read more

As a result of measures taken due to the COVID-19 pandemic, numerous questions have risen regarding the social security liability and personal income tax liability of expats.

Hungary: Guidance to Social Security and Personal Income Taxation con-cerns regarding the COVID-19 pandemic
Read more

Get in contact

If you have any questions about WTS Global or our global services, please get in touch.
We will respond to you as soon as possible.

Contact
About Us
  • About Us
  • Our CEO
  • Our Supervisory Board
  • Our Global Executive Team
  • Quality, Process & Risk Management
Services
  • Customs
  • Financial Services
  • Global Mobility
  • Indirect Tax
  • International Corporate Tax
  • Mergers & Acquisitions (M&A)
  • Private Clients & Family Office
  • Sustainability & Tax
  • Tax Certainty & Controversy
  • Tax Technology
  • Transfer Pricing & Valuation
Latest News
  • News & Knowledge
  • Brochures
  • Newsletters
  • Newsletter Subscription
  • Surveys & Studies
Hot Topics
  • Pillar Two
  • Digital Tax Law
  • European Tax Law
Culture & Career
Exclusive Cooperation With
© 2024 WTS Company Information Data Protection Disclaimer