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Official guidance
Double Taxation Relief Manual

DT20850PP · Double Taxation Relief Manual: Zambia

  • DT20850 · Agreements in force
  • DT20852 · Admissible taxes
  • DT20853 · Treaty summary
  • DT20854 · Notes
  • DT20855 · Zambia: Dividends
  • DT20857 · Zambia: Students
  • DT20858 · Zambia: Tax spared
  • DT20859 · Zambia: Relief from Zambian tax
  • DT20890 · Zambia: Underlying Tax
  • DT20900 · DT: Zambia: double taxation agreement, Article 1: Personal scope
  • DT20901 · DT: Zambia: double taxation agreement, Article 2: Taxes covered
  • DT20902 · DT: Zambia: double taxation agreement, Article 3: General definitions
  • DT20903 · DT: Zambia: double taxation agreement, Article 4: Fiscal domicile
  • DT20904 · DT: Zambia: double taxation agreement, Article 5: Permanent Establishment
  • DT20905 · DT: Zambia: double taxation agreement, Article 6: Limitation of Relief
  • DT20906 · DT: Zambia: double taxation agreement, Article 7: Income from immovable property
  • DT20907 · DT: Zambia: double taxation agreement, Article 8: Business profits
  • DT20908 · DT: Zambia: double taxation agreement, Article 9: Shipping and air transport
  • DT20909 · DT: Zambia: double taxation agreement, Article 10: Associated enterprises
  • DT20910 · DT: Zambia: double taxation agreement, Article 11: Dividends
  • DT20911 · DT: Zambia: double taxation agreement, Article 12: Interest
  • DT20912 · DT: Zambia: double taxation agreement Article 13: Royalties
  • DT20913 · DT: Zambia: double taxation agreement, Article 14 Capital gains
  • DT20914 · DT: Zambia: double taxation agreement, Article 15 Independent personal services
  • DT20915 · DT: Zambia: double taxation agreement, Article 16: Employments
  • DT20916 · DT: Zambia: double taxation agreement, Article 17 Directors' fees
  • DT20917 · DT: Zambia: double taxation agreement, Article 18: Artistes and athletes
  • DT20918 · DT: Zambia: double taxation agreement, Article 19: Pensions
  • DT20919 · DT: Zambia: double taxation agreement, Article 20: Governmental functions
  • DT20920 · DT: Zambia: double taxation agreement, Article 21: Research personnel and students
  • DT20921 · DT: Zambia: double taxation agreement, Article 22: Income not expressly mentioned
  • DT20922 · DT: Zambia: double taxation agreement, Article 23: Elimination of Double Taxation
  • DT20923 · DT: Zambia: double taxation agreement, Article 24: Personal allowances
  • DT20924 · DT: Zambia: double taxation agreement, Article 25: Non-discrimination
  • DT20925 · DT: Zambia: double taxation agreement, Article 26: Mutual agreement procedure
  • DT20926 · DT: Zambia: double taxation agreement, Article 27: Exchange of information
  • DT20927 · DT: Zambia: double taxation agreement, Article 28: Territorial extension
  • DT20928 · DT: Zambia: double taxation agreement, Article 29: Entry into force
  • DT20929 · DT: Zambia: double taxation agreement, Article 30: Termination
  1. Double Taxation Relief Manual: Zambia: contents
  2. Double taxation relief manual: Zambia: Notes

DT20854 | Double taxation relief manual: Zambia: Notes

From HM Revenue & Customs · Double Taxation Relief Manual

The treaty that entered into force in 2015 replaced that which had been in effect since 1972, as amended by a protocol signed in 1981. Apart from a general updating to reflect changes in the OECD Model Tax Convention and the domestic laws and treaty preferences of both state, notable changes include:

Article 4 – resident – dual resident companies

The 2014 treaty introduced the competent authority approach to the tie-breaker for dual resident companies. The previous agreement used the place of effective management to determine residence in such cases.

Article 5 – taxation of services

A new services provision was introduce meaning that the performance of services in Zambia will result in a permanent establishment in Zambia in the following circumstances:

  • For services performed by an enterprise through employees or other personnel engaged for such purpose, where the activities continue in Zambia for a period or periods aggregating more than 183 days within any 12 month period commencing or ending in the fiscal year concerned; and

  • For services performed by an individual, where that individual’s stay in Zambia is for a period or periods exceeding 183 days within any 12 month period commencing or ending in the fiscal year concerned.

Article 9 – associated enterprises – corresponding adjustments

The 2014 treaty adds the OECD paragraph 2 of Article 9 which requires Zambia to make an appropriate adjustment to reflect a change made by the UK falling within paragraph 1 of Article 9. A provision in the protocol to the treaty means that where the UK makes a primary adjustment which contains a tax or non-tax penalty, Zambia are not required to take the penalty into account when making a corresponding adjustment.

Article 10 - dividends

The 2014 treaty introduces a 5% rate for all dividends (except REITs), whereas in the previous agreement only direct investments holding more than 25% of the voting power were able to claim to the lower rate. So the rate for portfolio investors is reduced from 15% to 5%. The subject to tax test in the dividends article has been removed to accommodate the UK introduction in 2009 of the foreign dividend exemption.

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