Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Double Taxation Relief Manual

DT19550PP · Double Taxation Relief Manual: Uganda

  • DT19552 · Admissible taxes
  • DT19553 · Source of income
  • DT19554 · Building site
  • DT19555 · Dividends
  • DT19556 · Interest and royalties
  • DT19557 · Technical fees
  • DT19558 · Tax spared
  • DT19559 · Relief from Ugandan tax
  • DT19560 · Uganda: Underlying Tax
  1. Double Taxation Relief Manual: Uganda: contents
  2. Double Taxation Relief Manual: Uganda: dividends

DT19555 | Double Taxation Relief Manual: Uganda: dividends

From HM Revenue & Customs · Double Taxation Relief Manual

The rate of Ugandan tax on dividends paid by a Ugandan company to a United Kingdom-resident shareholder who is the beneficial owner of the dividends is limited to a maximum of 15 per cent (Article 10(2)).

If any Ugandan tax is charged on a dividend it will qualify for relief as a direct tax (see INTM164010(c)). The restriction of the withholding tax to a maximum of 15 per cent does not apply where the dividend is effectively connected with (see INTM153110, fifth sub-paragraph) a permanent establishment or fixed base which the beneficial owner of the dividends has in Uganda (Article 10(4)).

PreviousNext
PrivacyTerms