Customs Today
  • Home
  • Islamabad
  • Karachi
  • Lahore
  • National
  • Transfers and Postings
  • Chambers & Associations
  • Business
No Result
View All Result
Customs Today
  • Home
  • Islamabad
  • Karachi
  • Lahore
  • National
  • Transfers and Postings
  • Chambers & Associations
  • Business
No Result
View All Result
Customs Today
No Result
View All Result

Singapore, France sign pact for Avoidance of Double Taxation

byCustoms Today Report
19/02/2015
in Uncategorized
Share on FacebookShare on Twitter

PARIS: Singapore and France signed an amended Agreement for the Avoidance of Double Taxation (DTA) to lower withholding tax rates for dividends and new anti-abuse provisions.

The most notable changes are the following:

You might also like

Pakistan-Iran trade halt at Gabd-Rimdan threatens LPG supplies, perishable exports

09/06/2026

FBR revises customs values for imported ammunition vide VR No2087/2026

09/06/2026

Withholding tax rate for dividends is reduced to 5 percent (from 10 percent previously) if the beneficial owner is a company which owns directly or indirectly at least 10 per cent of the share capital of the company paying the dividends. In other cases the withholding rate is 15 percent. However, since Singapore’s domestic withholding rate for dividends is nil, dividends will be exempt from withholding tax in Singapore.

Distribution received from an investment vehicle that derives its income (that is not taxed) from immovable property shall be treated as a dividend. If the beneficial owner holds directly or indirectly at least 10 per cent of the share capital of the investment vehicle, the distribution will be taxed at the domestic rate of the country that the distribution arises.

However, if the beneficial owner (resident of the other country) carries on business through a permanent establishment in the country of the payer of the dividends and the holding in respect of which the dividends are paid is effectively connected with the permanent establishment, the above two provisions will not apply. The country of the permanent establishment will impose a tax on the profits only to the extent that is attributable to the permanent establishment.

Tags: tax

Related Stories

Pakistan-Iran trade halt at Gabd-Rimdan threatens LPG supplies, perishable exports

byCT Report
09/06/2026

GWADAR: Cross-border trade between Pakistan and Iran through the Gabd-Rimdan crossing has stopped, leaving hundreds of LPG vehicles stranded and...

FBR revises customs values for imported ammunition vide VR No2087/2026

byCT Report
09/06/2026

ISLAMABAD: The Federal Board of Revenue (FBR) has revised customs values for imported ammunition through Valuation Ruling No. 2087/2026, updating...

Nepra cuts electricity price by Rs1.98 per unit under quarterly adjustment

byCT Report
09/06/2026

ISLAMABAD: Electricity prices across Pakistan have been reduced by Rs1.98 per unit, according to a notification issued by the National...

Punjab sets outline of Rs5.13 trillion budget for FY 2026-27

byCT Report
09/06/2026

LAHORE: The Punjab government has finalized the broad contours of its budget for the fiscal year 2026–27, with the total...

Next Post

Planning tax deal: Austria’s budget target getting cloudy

  • Terms and Conditions
  • Disclaimer

© 2011 Customs Today -World's first newspaper on customs. Customs Today.

No Result
View All Result
  • Transfers and Postings
  • Latest News
  • Karachi
  • Islamabad
  • Lahore
  • National
  • Chambers & Associations
  • Business
  • About Us

© 2011 Customs Today -World's first newspaper on customs. Customs Today.