Search results
Results from the WOW.Com Content Network
Shares of profits made by investment funds are taxable as income at 19 percent. Resident natural persons have to pay 14% of received dividends as health insurance with maximum payment of €14,000, non-resident natural persons and companies are not subject of this "capital gain health tax". In South Africa there is a tax of 20% on dividends. [44]
Special rules for holdings include the exemption from local corporate income tax (e.g. Switzerland), exemption from current taxation (e.g. Luxembourg until 2010), the exemption from tax on all disposals of shares in subsidiaries (e.g. Singapore) or a refund of taxes paid to non-resident shareholders if profits are distributed (e.g. Malta). [1]
The United Kingdom, prior to 2013, established three categories: non-resident, resident, and resident but not ordinarily resident. [126] From 2013, the categories of resident are limited to non-resident and resident. Residency is established by application of the tests in the Statutory Residency Test. [127]
The treaty eliminates double taxation between these two countries. In this case, a Korean resident (person or company) that receives dividends from a Czech company needs to balance the Czech dividend withholding tax but also the Czech tax on profits, profits of the company that pays the dividends. The treaty covers taxation of dividends and ...
In any accounting period, a company may pay a form of corporate income tax on its taxable profit which reduces the amount of post-tax profit available for distribution by dividend to shareholders. In the absence of a participation exemption, or other form of tax relief, shareholders may pay tax on the amount of dividend income received.
There is no withholding tax on dividends which are paid to non-resident companies out of profits derived by the distributing company from 1 January 2004 until 31 December 2016. Dividends paid out of profits which were generated before 1 January 2004 are (unless rules implementing the EU Parent-Subsidiary Directive apply) subject to a 19% final ...
German residents control the non-German corporation and; That corporation is taxed at a rate of less than 25% on the passive income. Control in this case is ownership by all German residents of more than 50% of the vote or capital of the foreign corporation. Such ownership includes both direct ownership and ownership through related persons.
Taxes also differ depending on the fact whether a certain company is resident or nonresident. In the case of resident company, corporate income tax is levied on company's capital gains, worldwide profits and income. Non-resident companies have to pay tax on Belgian-sourced income. The standard corporate tax rate is 25%.