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Structured register of government actions in the geoeconomic space — export controls, tariffs, sanctions, FDI screening, subsidies, industrial-policy laws — cross-referenced into the country, minerals, and ETF surface. Charter: docs/IPTM_CHARTER.md.
Severity 1-5 is the qualitative impact rating (1=minor, 5=structural). The bilateral-trade-grounded quant scorer is the next IPTM milestone. RBI (Register Breadth Index) is a complementary structural-breadth indicator from scripts/py/iptm/breadth.py; divergence between RBI and severity is itself informative (high-sev / low-RBI = strategic chokepoint; low-sev / high-RBI = broad but shallow). Every action has at least one primary source URL. Verify-or-don't-file. See also themes, timeline, graph, sankey, map, country exposure, sector exposure, material exposure (+ graph), weekly briefs, portfolio scan, escalation monitor, trans-shipment hubs. Internal triage tools (RSS-poller candidate feed, source-feed health) live under /admin/candidates + /admin/sources. Subscribe via Atom feed (accepts ?country=CN, ?material=lithium, ?issuer=BIS, ?type=export_control, ?etf=SOXX, ?company=NVDA, ?minSeverity=4, ?year=2026, ?q=…) or pull /api/iptm/actions.
The Customs Tariff Commission of the State Council announced on April 28, 2026 that China will extend zero-tariff treatment (preferential tariff rate of 0%) to all 53 African countries with which it maintains diplomatic relations, effective May 1, 2026 through April 30, 2028. The measure adds 20 African non-LDC nations to the existing zero-tariff scheme already covering 33 African LDCs since December 2024, making China the first major economy to grant full-coverage zero-tariff access to all African diplomatic partners. Coverage extends to all tariff lines except out-of-quota products (where only in-quota rates move to zero); eSwatini is excluded as it maintains diplomatic relations with Taiwan rather than the PRC.
Tunisia's Finance Law for 2025 (Loi n° 2024-48, signed 9 December 2024, published in JORT n° 149 on 10 December 2024) institutes under Article 38 a one-year Contribution Conjoncturelle — a cyclical windfall-style fiscal levy — applicable to all enterprises subject to the standard 15% corporate income tax rate whose 2023 turnover exceeded 20 million dinars (excluding VAT). The contribution is set at 2% of the taxable profits for fiscal year 2025, with a minimum floor of 1,000 dinars, and is explicitly non-deductible from the corporate income tax base. The measure is a budget-financing instrument adopted in the context of the stalled IMF Extended Fund Facility programme (suspended since 2023) and constitutes the IPTM register's second Tunisia-issuer action, extending the LF-year-on-year Tunisian fiscal-policy arc established by LF2024 Art. 33.
Law No. 2 of 11 January 2024 (Gazzetta Ufficiale Serie Generale n. 10 of 13 January 2024, in force 14 January 2024) converts with amendments Decreto-Legge 15 November 2023, n. 161 ("Disposizioni urgenti per il «Piano Mattei» per lo sviluppo in Stati del Continente africano") into permanent law. The statute establishes Italy's first formal Africa-policy framework: a four-year strategic plan adopted by Presidential Decree (subject to parliamentary opinion), a Steering Committee ("Cabina di Regia") at Palazzo Chigi chaired by the Prime Minister, and a Mission Structure inside the Presidency to coordinate implementation. The Plan organises intervention along five thematic pillars (education/training, health, agriculture, water, energy / climate-energy nexus) across an initial nine pilot countries — Algeria, Côte d'Ivoire, Democratic Republic of the Congo, Egypt, Ethiopia, Kenya, Mozambique, Republic of Congo, and Tunisia — with an announced ~EUR 5.5bn envelope drawn primarily from the Italian Climate Fund (~EUR 3bn) and pre-existing development-cooperation resources (~EUR 2.5bn). Positions Italy as a transit corridor and industrial gateway between African resources and EU industry, layering onto the EU Global Gateway / Critical Raw Materials Act perimeter.
Tunisia's Finance Law for 2024 (Loi Nº 2023-52, promulgated 22 December 2023) introduces a 4-year full exemption from corporate income tax (IS) and personal income tax (IR) for newly created enterprises that obtain an investment declaration certificate during 2024 or 2025. Qualifying enterprises must commence effective operations within 2 years of the declaration date and maintain Tunisian-standard accounts; excluded sectors include financial services, conventional energy, mining, real-estate promotion, commerce, and telecoms operators. The measure is Tunisia's principal post-Loi 2016-71 targeted investment-attraction instrument and opens the IPTM register's first Tunisia-issuer action, closing a full-geographic blank in MENA/Maghreb coverage.
Tunisia's foundational horizontal investment statute, adopted by the Assemblée des représentants du peuple on 17 September 2016 and promulgated by President Béji Caïd Essebsi on 30 September 2016 (JORT N° 82, 7 October 2016), replacing the 1993 Code d'incitations aux investissements after 23 years. The law enshrines freedom of investment for domestic and foreign investors (Article 4), creates the Instance Tunisienne de l'Investissement (TIA) as a single one-stop-shop for projects between TND 15–50 million, and establishes the Conseil Supérieur de l'Investissement chaired by the Head of Government. A tiered fiscal-incentive scheme via the Fonds Tunisien de l'Investissement (FTI) rewards regional-development location, job creation, and technology-transfer commitments. The law entered into force on 1 April 2017 per Article 27 transitional provisions; the negative-list approach defining activities subject to prior authorisation was operationalised by Décret gouvernemental n° 2018-417 of 11 May 2018.