<h3>Tax Rates</h3><table><thead><tr><th>Item</th><th>Article reference</th><th>Applicable Rates</th><th>Comments</th></tr></thead><tbody><tr><td>Dividends</td><td>Article 10</td><td>Malta source: max 10% / max 15%<br>Kuwait source: 0% (residence state only)</td><td>Malta source: Max 10% of gross amount for dividends payable to the Government of Kuwait or its institutions/inter-governmental entities (Art 4 para 2). Max 15% of gross amount in all other cases. Malta tax applies to the share of pre-tax profits attributable to the Kuwaiti shareholder; no further Malta tax on dividends. Not applicable if effectively connected with PE/fixed base. Kuwait source: No Kuwaiti tax shall be charged if the beneficial owner is a resident of Malta.</td></tr><tr><td>Interest</td><td>Article 11</td><td>0% (residence state only)</td><td>Taxable only in the Contracting State of which the beneficial owner is a resident. Not applicable if effectively connected with PE/fixed base.</td></tr></tbody></table>
Agreement between the Government of MALTA and the Government of the State of KUWAIT for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with respect to Taxes on Income
The Government of Malta and the Government of The State of Kuwait, desiring to promote their mutual economic relations by removing fiscal obstacles through the conclusion of a convention for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income,
Continue Reading
Access Full Content
You're viewing a preview of this document. Please log in to unlock the complete content, annotations, and research tools.
Click here to view details of the free plan and the subscriptions we offer.