The MLI streamlines the implementation of BEPS (Base Erosion and Profit Shifting) measures, and this new annex provides the specific effective dates for withholding taxes and other taxes for each treaty.
The French tax authorities (FTA) published a new annex BOI-ANNX-000511 on 29 April 2026 listing 68 tax treaties concluded by France that have been modified by the OECD’s Multilateral Instrument (MLI), under the OECD Base Erosion and Profit Shifting (BEPS) framework.
The MLI, in force for France since 1 July 2019, allows BEPS-related tax treaty measures to be incorporated into existing double tax treaties.
The annex sets out, for each covered tax agreement, the effective dates for withholding taxes and other taxes, along with references to consolidated treaty texts.
Application dates vary by jurisdiction, with early application in 2019 for several countries and phased implementation continuing into 2026 for certain treaties. Some agreements have also been amended through most-favoured-nation clauses.
There are 68 countries (jurisdictions) in the list:
| Europe | Americas | Africa | Asia & Middle East |
| Albania | Argentina | Cameroon | Australia |
| Andorra | Canada | Egypt | Bahrain |
| Austria | Chile | Kenya | China |
| Belgium | Mexico | South Africa | India |
| Bulgaria | Panama | Tunisia | Indonesia |
| Croatia | US | Senegal | Israel |
| Cyprus | Brazil | Ivory Coast | Japan |
| Czech Republic | Jamaica | Malaysia | |
| Finland | Russia | Mongolia | |
| Germany | Colombia | New Zealand | |
| Hungary | Peru | Oman | |
| Iceland | Uruguay | Pakistan | |
| Ireland | Venezuela | Qatar | |
| Italy | Saudi Arabia | ||
| Latvia | Singapore | ||
| Lithuania | South Korea | ||
| Luxembourg | Thailand | ||
| Malta | UAE | ||
| Netherlands | Vietnam | ||
| Poland | Hong Kong SAR | ||
| Portugal | |||
| Romania | |||
| Slovakia | |||
| Slovenia | |||
| Spain | |||
| Ukraine | |||
| UK |
The FTA said the annex is intended to provide a consolidated administrative reference on the application timelines of MLI-modified treaties, including separate effective dates for withholding taxes and other taxes, as well as access to consolidated treaty versions.