Kazakhstan has approved a list of 41 jurisdictions eligible for double taxation treaty benefits, limited to countries with sufficiently high corporate tax rates and existing agreements, with the rules applying retroactively for 2026–2027.

Kazakhstan’s Minister of Finance has approved a comprehensive list of countries whose businesses qualify for double taxation treaty benefits based on their corporate tax rates.

The approved countries must maintain a nominal corporate income tax rate that exceeds Kazakhstan’s corporate income tax rate by at least 75%. Additionally, each country must have an active international agreement with Kazakhstan addressing double taxation avoidance and tax evasion prevention.

The list encompasses 41 jurisdictions, including major economies such as the US, China (excluding Macau and Hong Kong special administrative regions), Japan, Germany, the UK, and the Russian Federation. European nations feature prominently, with France, Italy, Spain, and the Nordic countries all included. Notably, Switzerland receives partial approval limited to four specific cantons: Aargau, Bern, Ticino, and Zurich, rather than blanket coverage for the entire confederation.

The list is used in relation to Kazakhstan’s controlled foreign company (CFC) rules, which include an exception from the rules for non-resident legal entities and other organisations registered, incorporated, or otherwise established in a country meeting the conditions for inclusion in the list.

Complete list of approved jurisdictions

  1. Austria
  2. United States of America
  3. Armenia
  4. Azerbaijan
  5. Belarus
  6. Belgium
  7. Vietnam
  8. Germany
  9. Japan
  10. Italy
  11. Iran
  12. Spain
  13. Canada
  14. South Korea
  15. China (except for the territories of the special administrative regions of Macau and Hong Kong)
  16. Latvia
  17. Lithuania
  18. Luxembourg
  19. Malaysia
  20. Mongolia
  21. Netherlands
  22. Norway
  23. Pakistan
  24. Poland
  25. Russia
  26. Romania
  27. Saudi Arabia
  28. Singapore
  29. Slovakia
  30. Slovenia
  31. Turkey
  32. Ukraine
  33. United Kingdom
  34. India
  35. Finland
  36. France
  37. Croatia
  38. Czech Republic
  39. Sweden
  40. Switzerland (only in part of the following cantons: Aargau, Bern, Ticino, Zurich)
  41. Estonia

The order takes effect ten calendar days following its official publication and applies retroactively to legal relationships established between 1 January 2026 and 31 December 2027.