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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: permanent establishments

DT19105 | Double Taxation Relief Manual: Turkey: permanent establishments

From HM Revenue & Customs · Double Taxation Relief Manual

Under Turkish law the Turkish branch of a non-resident company is liable to a further tax in addition to normal Turkish corporation tax. Under the agreement the maximum rate at which this further tax may be charged is set at 15 per cent of the profits attributable to the Turkish permanent establishment of the United Kingdom company (Article 10(4)).

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