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Official guidance
Double Taxation Relief Manual

DT2391PP · Double Taxation Relief Manual: Andorra: contents

  • DT2391 · Double Taxation Relief Manual: Andorra: Agreement in force
  • DT2393 · Double Taxation Relief Manual: Andorra: admissible taxes
  • DT2395 · Double Taxation Relief Manual: Andorra: treaty summary
  1. Double Taxation Relief Manual: Andorra: contents
  2. Double Taxation Relief Manual: Andorra: treaty summary

DT2395 | Double Taxation Relief Manual: Andorra: treaty summary

From HM Revenue & Customs · Double Taxation Relief Manual

The table summarises the provisions of the treaty as they relate to income beneficially owned by UK residents. The rate shown is the ‘treaty rate’ and does not reflect taxes chargeable under domestic law before relief is given under the provisions of the treaty. The ‘treaty rate’ is the maximum rate at which Andorra is permitted to tax income in the relevant categories under the treaty. Rates chargeable under domestic law may be higher or lower.

In all cases other conditions for relief (e.g. beneficial ownership) will have to be met before relief is due under the treaty. The text of the treaty itself should be consulted for the full details. The text of the treaty can be found on gov.uk.

SubjectCommentsArticle
Portfolio dividends0%10
Dividends on direct investments0%10
Conditions for lower rate on dividends on direct investmentsN/AN/A
Property income dividends15% (Note 1)10
Interests0%11
Royalties0%12
Government pensionsTaxable only in source country unless the individual is a resident and national of the UK.18
Other pensionsTaxable only in the UK.17
ArbitrationNoN/A

Note 1: Other than where the beneficial owner of the dividend is a pension scheme in which case the rate is 0%.

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