Malta and Turkey DTA entered into force

August 27, 2013

The Income Tax Treaty (2011) between Malta and Turkey for the avoidance of double taxation entered into force on 13 June 2013.  The treaty generally applies from 1 January 2014. OECD Model Tax Treaty is broadly followed in this

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Kuwait and Hong Kong: DTA entered into force

August 01, 2013

The Hong Kong Special Administrative Region and Kuwait signed an Income Tax Treaty in May 2010. In a press release it has been announced that the treaty came into force on July 24 after completion of ratification procedures on both sides. The

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DTA between Australia and Mauritius entered into force

August 01, 2013

The Double Tax Agreement (DTA) between Australia and Mauritius entered into force on 31 May 2013. The treaty will be relevant to persons who are residents of one or both of the Contracting States. For the purposes of the Agreement a person is not a

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Australia and Chile: DTA will be applicable after 1 January 2014 in Chile

August 01, 2013

The Convention between the Republic of Chile and Australia for the Avoidance of Double Taxation was published in Chile’s Official Gazette on 23 July 2013. The treaty was signed on 10 March 2010 and entered into force on 8 February 2013. The

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India: Treaty between India and Uruguay enters into force

July 28, 2013

The Income and Capital Tax Treaty between India and Uruguay entered into force on 21 June 2013. The treaty generally applies from 1 January 2014 for Uruguay and from 1 April 2014 for India. This treaty was signed in September 8, 2011. Under the

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Treaty between Kuwait and Slovenia enters into force

July 11, 2013

The Income and Capital Tax Treaty between Kuwait and Slovenia entered into force on 17 May 2013. The treaty generally applies from 1 January 2014. Under the Treaty, the definition of a permanent establishment includes a situation where substantial

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Treaty between Japan and Portugal enters into force

July 11, 2013

The governments of Japan and the Portuguese Republic signed an income tax treaty in December 2011. The mutual notifications of the completion of the necessary domestic procedures were completed on 28th June 2013 and in accordance with Article 28 of

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Colombia and Mexico DTA will enter into force on 11 July 2013

July 08, 2013

The Income and Capital Tax Treaty between Colombia and Mexico will enter into force on 11 July 2013. The treaty will be applicable in Mexico from 1 January 2014 and in Colombia from 1 January 2014 for income tax matters and from 11 July 2013 for

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Treaty between Cyprus and Finland enters into force

April 17, 2013

On 28 April 2013, the double tax agreement that was signed on 15 October 2012 between Cyprus and Finland will enter into force. The treaty generally follows the provisions of the OECD Model. Under the treaty the maximum withholding tax rate on

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Double taxation convention between the United Kingdom and Ethiopia entered into force

March 18, 2013

The Comprehensive Double Taxation Convention between the UK and Ethiopia entered into force as of 21 February 2013. The treaty was signed on 9 June 2011. The convention generally follows the OECD Model Tax Convention. According to the provisions of

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Malta and Norway DTA enters into force

March 05, 2013

A double tax agreement (DTA) between the Government of Malta and the Norwegian Government, signed on 30 March 2012, entered into force on 14 February 2013. New provision will come into application from 1 January, 2014 and these will replace the old

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Treaty between Finland and Uruguay enters into force

February 27, 2013

The Income and Capital Tax Treaty between Finland and Uruguay entered into force on 6 February 2013. The treaty generally applies from 1 January 2014. The treaty is based generally on the model tax conventions of the OECD and UN. The definition of a

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Latvia –Mexico: Treaty enter into force

February 17, 2013

The treaty between Latvia and Mexico for the avoidance of double taxation which was signed on 20 April 2012 is to enter into force on 2 March 2013. The maximum withholding tax on dividends is 10%, reduced to 5% where the recipient company is the

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Treaty between Liechtenstein and United Kingdom enters into force

February 05, 2013

The first Double Taxation Convention between the UK and Liechtenstein entered into force on 19 December 2012, which was signed in London on 11 June 2012. The Convention continues the cooperation between the UK and Liechtenstein on tax matters which

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Treaty between Barbados and United Kingdom enters into force

February 05, 2013

The Double Taxation Agreement between Barbados and the United Kingdom entered into force on 19 December 2012 which was signed in Barbados on 26 April 2012. The Double Taxation Agreement generally follows the provisions of the OECD Model; however

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China and Ethiopia income tax treaty enters into force

February 05, 2013

The income tax treaty between China and Ethiopia, which was signed on 14 May 2009, entered into force on 25 December 2012. The treaty generally follows the OECD Model Convention. According to the treaty the maximum withholding tax rates on dividends

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DTA between Taiwan – Germany Enters Into Force

January 03, 2013

The double taxation agreement (DTA) between Taiwan and Germany entered into force on November 7, 2012.  The treaty will be applicable from January 1, 2013. This agreement covers the avoidance of double taxation of dividends and capital

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Treaty between China (People’s Rep.) and Japan applies to new Japanese taxes

January 03, 2013

The State Administration of Taxation (SAT) stated in Gong Gao No.49, that, Chinese and Japanese tax authorities have agreed after consultation that the taxes to which the China (People's Rep.) - Japan Income Tax Treaty applies include the Special

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