| Received in Cyprus | Paid from Cyprus* | |||||
| Treaty Countries | Dividends | Interest | Royalties | Dividends | Interest | Royalties |
| % | % | % | % | % | % | |
| Armenia (27) | 0 | 0 | 0 | 0 | 0 | 0 |
| Austria | 10 | 0 | 0 | 10 | 0 | 0 |
| Belarus | 5(4) | 5 | 5 | 5(4) | 5 | 5 |
| Belgium | 10(1) | 10(16) | 0 | 10(1) | 10 | 0 |
| Bulgaria | 5(19) | 7(25) | 10(20) | 5(19) | 7(25) | 10 |
| Canada | 15 | 15(7) | 10(11) | 15 | 15(7) | 10(11) |
| China | 10 | 10 | 10 | 10 | 10 | 10 |
| Czech Republic | 0(30) | 0 | 10 | 0(30) | 0 | 10 |
| Denmark | 10(1) | 10(9) | 0 | 10(1) | 10(9) | 0 |
| Egypt | 15 | 15 | 10 | 15 | 15 | 10 |
| France | 10(2) | 10(9) | 0(26) | 10(2) | 10(9) | 0(26) |
| Germany | 10(1) | 10(8) | 0(26) | 10(1) | 10(8) | 0(26) |
| Greece | 25(21) | 10 | 0(12) | 25 | 10 | 0(12) |
| Hungary | 5(1) | 10(8) | 0 | 0 | 10(8) | 0 |
| India | 10(2) | 10(8) | 15(15) | 10(2) | 10(8) | 15(15) |
| Ireland | 0 | 0 | 0(12) | 0 | 0 | 0(12) |
| Italy | 15 | 10 | 0 | 0 | 10 | 0 |
| Kuwait | 10 | 10(8) | 5(14) | 10 | 10(8) | 5(14) |
| Kyrgyzstan (27) | 0 | 0 | 0 | 0 | 0 | 0 |
| Lebanon | 5 | 5(16) | 0 | 5 | 5(16) | 0 |
| Malta | 0(22) | 10(8) | 10 | 15 | 10(8) | 10 |
| Mauritius | 0 | 0 | 0 | 0 | 0 | 0 |
| Moldova | 5(19) | 5 | 5 | 5(19) | 5 | 5 |
| Montenegro (28) | 10 | 10 | 10 | 10 | 10 | 10 |
| Norway | 5(3) | 0 | 0 | 0 | 0 | 0 |
| Poland | 10 | 10(8) | 5 | 10 | 10(8) | 5 |
| Qatar (30) | 0 | 0 | 5 | 0 | 0 | 5 |
| Romania | 10 | 10(8) | 5(14) | 10 | 10(8) | 5(14) |
| Russia | 5(6) | 0 | 0 | 5(6) | 0 | 0 |
| San Marino | 0 | 0 | 0 | 0 | 0 | 0 |
| Serbia | 10 | 10 | 10 | 10 | 10 | 10 |
| Seychelles | 0 | 0 | 5 | 0 | 0 | 5 |
| Singapore | 0 | 10(23) | 10 | 0 | 10(23) | 10 |
| Slovakia (29) | 10 | 10(8) | 5(14) | 10 | 10(8) | 5(14) |
| Slovenia (28) | 10 | 10 | 10 | 10 | 10 | 10 |
| South Africa | 0 | 0 | 0 | 0 | 0 | 0 |
| Sweden | 5(1) | 10(8) | 0 | 5(1) | 10(8) | 0 |
| Syria | 0(1) | 10(8) | 15(13) | 0(1) | 10(8) | 15(13) |
| Tadzhikistan (27) | 0 | 0 | 0 | 0 | 0 | 0 |
| Thailand | 10 | 15(17) | 5(18) | 10 | 15(17) | 5(18) |
| Ukraine (27) | 0 | 0 | 0 | 0 | 0 | 0 |
| United Kingdom | 0(24) | 10 | 0(26) | 0 | 10 | 0(3) |
| United States | 15(5) | 10(10) | 0 | 0 | 10(10) | 0 |
| Uzbekistan (27) | 0 | 0 | 0 | 0 | 0 | 0 |
| Non Treaty Countries | N/A | N/A | N/A | 0 | 0 | 0** |
* Payments of dividends and interest to non-residents are exempt from withholding tax in Cyprus according to the Cyprus Legislation. Royalties granted for use outside of Cyprus are also free of withholding tax in Cyprus.
**10% in the case of royalties granted for use within the Republic. 5% on films and TV rights. 15% if received by a company controlling less than 25% of the voting power.
Nil if the beneficial owner is a company (other than a partnership) which holds directly at least 10% of the capital of the company paying the dividends where such holding is being possessed for an uninterrupted period of no less than one year. 5% in all other cases.
When a tax is spared or exempted in Cyprus, a tax-sparing provision may allow it to be credited against an investor’s liability in his home country (the double tax treaty counterpart) as if the tax had been paid in Cyprus.
Tax-sparing provisions exist in the double tax treaties with the following countries:
Canada
Tax payable in Cyprus by a resident of Canada, in respect of profits attributable to a trade or business carried on by it in Cyprus or in respect of interest received by it from a resident in Cyprus, shall be deemed to include any amount which would have been payable as Cyprus tax for any year but for an exemption from, or reduction of, tax granted for that year or any part under certain provisions.
Czech Republic
Under the new double tax treaty with the Czech Republic there are tax sparing credit provisions in respect of Cyprus tax which would have been payable on profits and interest in Cyprus; but for tax incentive exemption or relief in Cyprus, and in respect of Cyprus tax which is deductible from any divided paid out of profits granted by such incentive exemption or relief.
Denmark
There are available tax sparing credits where for the purpose of promoting economic development in Cyprus dividends are exempt from any tax in Cyprus. This is in addition to the tax chargeable on the profits or income of the company. Dividends are taxed in Cyprus at a rate not lower than 15% of the gross amount. The amount of Cyprus tax shall be deemed to be 15% of the gross amount for dividends and 10% for interest from Cyprus. In cases where the rate of Cyprus tax on interest is reduced below 10% of the gross amount , by virtue of special incentive measures designed to promote development activity in Cyprus, the amount of Cyprus tax shall be deemed to be 10% of the gross amount of such interest.
Egypt
For the purposes of deduction from the tax on income in a Contracting State, the tax paid in the other Contracting State, shall be deemed to include the tax which is otherwise payable in that other Contracting State, but has been reduced or waived by the Contracting State under its legal provisions for tax incentives.
Germany
There are available tax sparing credits where for the purpose of promoting economic development in Cyprus dividends are exempt from any tax in Cyprus. This is in addition to the tax chargeable on the profits or income of the company. Dividends are taxed in Cyprus at a rate not lower than 15% of the gross amount. The amount of Cyprus tax shall be deemed to be 15% of the gross amount of such dividends and 10% for interest from Cyprus. In cases where the rate of Cyprus tax on interest is reduced below 10% of the gross amount, by virtue of special incentive measures designed to promote development activity in Cyprus, the amount of Cyprus tax shall be deemed to be 10 per cent of the gross amount of such interest.
Greece
Tax sparing credits are available on tax on interest or profits due to tax incentives, reliefs or exemptions. India The tax payable in a Contracting State shall be deemed to include the tax which would have been payable but for the tax incentives granted under the laws of the Contracting State and which are designed to promote economic development.
Ireland
The Cyprus tax which would have been payable on any profits or interest granted tax incentive exemption or relief in Cyprus. The Cyprus tax which would have been deductible from any dividend paid out of profits granted tax incentive exemption or relief in Cyprus.
Italy
In the case of Italy, tax payable, directly or by deduction, in respect of income from sources within Italy shall be allowed as a credit against any Cyprus tax payable in respect of that income. Where under the laws of one of the Contracting States any tax to which the Convention of the Agreement applies has been wholly relieved or reduced for a limited period of time, then, for the purpose of calculating the deduction from the tax, such tax shall be deemed to have been paid.
Malta
The tax payable in a Contracting State shall be deemed to include the tax which would have been payable but for the legal provisions concerning tax reduction, exemption or other tax incentives granted under the laws of the Contracting State. In the case of dividends, interest or royalties any such tax which has been exempted or reduced shall be deemed to have been paid at 15% of the gross amount of the dividends, 10% of the gross amount of the interest and royalties.
Poland
The tax payable in a Contracting State shall be deemed to include the tax which would have been payable but for the legal provisions concerning tax reduction, exemption or other tax incentives granted under the laws of the Contracting State. In the case of dividends, interest any such tax which has been exempted or reduced shall be deemed to have been paid at 10% of the gross amount of dividend and interest, 5% of the gross amount of royalties.
Romania
Tax sparing credits are available on the Cyprus tax which would have been payable on any profits, interest, or dividend paid out of profits granted tax incentive exemption or relief in Cyprus.
Slovakia
Tax sparing credits are available on the Cyprus tax which would have been payable on any profits, interest, or dividend paid out of profits granted tax incentive exemption or relief in Cyprus.
Syria
The tax payable in a Contracting State shall be deemed to include the tax which would have been payable but for the legal provisions concerning tax reduction, exemption of other tax incentives granted under the laws of the Contracting State.
United Kingdom
In the double tax treatment with the UK the term ‘Cyprus tax payable’ shall be deemed to include, any amount which would have been payable as Cyprus tax for any tax year. Of course this is always in line with any exemption or reduction of tax granted for that year or any part thereof. Now in any case where the interest in question is certified by the competent authority of Cyprus as being payable in respect of a loan made for the purposes of promoting development in Cyprus, or in the case of any approved capital expenditure, any amount which would have been payable as Cyprus tax. This, however, is exempt in the case of an investment deduction allowed. The term ‘approved capital expenditure’ means the capital expenditure which is incurred on or after the date of signature of the double tax treaty and not later than 5 years after the commencement of the trade or business in question, by an enterprise wholly or mainly engaged in the hotel business or in activities falling within manufacturing, assembling, processing, construction, civil engineering, ship building, electricity, hydraulic power, gas or water supply and which is certified by the competent authority of Cyprus as incurred for the purposes of promoting development in Cyprus.
Any amount which would have been payable as Cyprus tax for any year but for an exemption or reduction of tax granted for that year or any part thereof under any other provision which may be made after the date of signature of this Convention granting an exemption or reduction of tax which is agreed by the competent authorities of the Contracting States to be of a substantially similar character, if it has not been modified thereafter or has been modified only in minor respects so as not to affect its general character.
Yugoslavia
Tax sparing credits are available on tax on interest or profits due to tax incentives, reliefs or exemptions.