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Official guidance
Double Taxation Relief Manual

DT5350PP · Double Taxation Relief Manual: Cyprus

  • DT5352 · Admissible taxes
  • DT5353 · Treaty summary
  • DT5354 · Notes
  • DT5355 · Cyprus: Dividends
  • DT5356 · Cyprus: Students and trainees.
  • DT5357 · Cyprus: Teachers
  • DT5358 · Cyprus: Tax spared
  • DT5359 · Cyprus: Relief from Cyprus tax
  • DT5390 · Cyprus: Underlying Tax
  • DT5400 · DT: Cyprus: double taxation agreement, Article 1: Personal scope
  • DT5401 · DT: Cyprus: double taxation agreement, Article 2: Taxes covered
  • DT5402 · DT: Cyprus: double taxation agreement, Article 3: General definitions
  • DT5403 · DT: Cyprus: double taxation agreement, Article 4: Fiscal domicile
  • DT5404 · DT: Cyprus: double taxation agreement, Article 5: Permanent establishment
  • DT5405 · DT: Cyprus: double taxation agreement, Article 6: Limitation of relief
  • DT5406 · DT: Cyprus: double taxation agreement, Article 7: Immovable property
  • DT5408 · DT: Cyprus: double taxation agreement, Article 9: Associated enterprises
  • DT5409 · DT: Cyprus: double taxation agreement, Article 10: Shipping and air transport
  • DT5410 · DT: Cyprus: double taxation agreement, Article 11: Dividends
  • DT5412 · DT: Cyprus: double taxation agreement, Article 13: Royalties
  • DT5413 · DT: Cyprus: double taxation agreement, Article 14 Independent personal services
  • DT5414 · DT: Cyprus: double taxation agreement, Article 15 Dependent personal services
  • DT5415 · DT: Cyprus: double taxation agreement, Article 16: Directors' fees
  • DT5416 · DT: Cyprus: double taxation agreement, Article 17: Public entertainers and athletes
  • DT5417 · DT: Cyprus: double taxation agreement, Article 18: Governmental functions
  • DT5418 · DT: Cyprus: double taxation agreement, Article 19: Pensions
  • DT5419 · DT: Cyprus: double taxation agreement, Article 20: Teachers
  • DT5420 · DT: Cyprus: double taxation agreement, Article 21: Students and trainees
  • DT5421 · DT: Cyprus: double taxation agreement, Article 22: Government income
  • DT5422 · DT: Cyprus: double taxation agreement, Article 23: Income not expressly mentioned
  • DT5423 · DT: Cyprus: double taxation agreement, Article 24: Elimination of double taxation
  • DT5424 · DT: Cyprus: double taxation agreement, Article 24A: Excluded persons
  • DT5425 · DT: Cyprus: double taxation agreement, Article 25: Non-discrimination
  • DT5426 · DT: Cyprus: double taxation agreement, Article 26: Mutual agreement procedure
  • DT5427 · DT: Cyprus: double taxation agreement, Article 27: Mutual agreement procedure
  • DT5428 · DT: Cyprus: double taxation agreement, Article 28: Territorial extension
  • DT5429 · DT: Cyprus: double taxation agreement, Article 29: Entry into force
  • DT5430 · DT: Cyprus: double taxation agreement, Article 30: Termination
  1. Double Taxation Relief Manual: Cyprus: contents
  2. DT: Cyprus: double taxation agreement, Article 15 Dependent personal services

DT5414 | DT: Cyprus: double taxation agreement, Article 15 Dependent personal services

From HM Revenue & Customs · Double Taxation Relief Manual

(1) Subject to the provisions of Articles 16, 18, 19, 20 and 21, salaries, wages and other similar remuneration derived by a resident of a Contracting State in respect of an employment shall be taxable only in that State unless the employment is exercised in the other Contracting State. If the employment is so exercised, such remuneration as is derived therefrom may be taxed in that other State.

(2) Notwithstanding the provisions of paragraph (1) of this Article, remuneration derived by a resident of a Contracting State in respect of an employment exercised in the other Contracting State shall be taxable only in the first-mentioned State if- (a) the recipient is present in the other State for a period or periods not exceeding in the aggregate 183 days in the fiscal year concerned, and (b) the remuneration is paid by, or on behalf of, an employer who is not a resident of the other State, and (c) the remuneration is not borne by a permanent establishment or a fixed base which the employer has in the other State.

(3) Notwithstanding the preceding provisions of this Article, remuneration in respect of an employment exercised aboard a ship or aircraft in international traffic, may be taxed in the Contracting State in which the enterprise is resident.

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