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Contents

Official guidance
Double Taxation Relief Manual

DT19100PP · Double Taxation Relief Manual: Turkey

  • DT19101 · Admissible and inadmissible taxes
  • DT19102 · Company residence
  • DT19103 · Source
  • DT19104 · Dividends
  • DT19105 · Permanent establishments
  • DT19107 · Teachers
  • DT19108 · Tax Sparing
  • DT19140 · Turkey: Underlying Tax
  1. Double Taxation Relief Manual: Turkey: contents
  2. Double Taxation Relief Manual: Turkey: dividends

DT19104 | Double Taxation Relief Manual: Turkey: dividends

From HM Revenue & Customs · Double Taxation Relief Manual

The Turkish tax deducted from dividends paid by a Turkish company at 20 per cent (15 per cent if the recipient is a United Kingdom company controlling, directly or indirectly, at least 25 per cent of the voting power of the company paying the dividend) qualifies for credit as a direct tax (see INTM164010(c)).

Where a dividend is paid to a United Kingdom company controlling, directly or indirectly, at least 10 per cent of the voting power of the Turkish company paying the dividend, credit is also due for the underlying tax (see INTM164010(d)).

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