<h3>Tax Rates</h3><table><tr><th>Item</th><th>Article reference</th><th>Applicable Rates</th><th>Comments</th></tr><tr><td>Dividends</td><td>Article 11</td><td>0% (residence state only)</td><td>Exempt from source taxation unless effectively connected with a permanent establishment or fixed base.</td></tr><tr><td>Interest</td><td>Article 12</td><td>0% (residence state only)</td><td>Exempt from source taxation unless effectively connected with a permanent establishment or fixed base. Non-arm's length excess remains taxable according to domestic laws.</td></tr></table>
Agreement Between the Government of UNITED ARAB EMIRATES and the Government of EQUATORIAL GUINEA for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and Capital
StatusNot Yet In Force
Signed on19 October 2016
Entered into force-
Amended on-
Terminated on-
Preamble
The Government of the United Arab Emirates and the Government of Equatorial Guinea
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