WHT on dividends, interest and royalties
Cyprus does not levy a WHT on dividends, interest and royalties paid to non-residents of Cyprus except in the case of royalties earned on rights used within Cyprus, which are subject to a WHT of 10% (5% in the case of cinematographic films). Such Cyprus WHT on royalties for rights used within Cyprus may be reduced or eliminated by double tax treaties entered into by Cyprus or by the EU Interest and Royalty Directive as enacted in the Cyprus tax legislation.
WHT on other types of income
Cyprus levies a 10% WHT on technical services performed by non-residents in Cyprus. However no such WHT is levied if such services are performed via a permanent establishment in Cyprus of the non-resident or if performed between ‘associated’ companies as these are defined by the EU Interest and Royalty Directive as enacted in the Cyprus tax legislation.
Cyprus also levies a 10% WHT on the gross income/receipts derived by a non-resident individual from the exercise in Cyprus of any profession or vocation and the remuneration of non-resident public entertainers (such as theatrical, musical including football clubs, other athletic missions etc.).
Further, a 5% WHT is levied on gross income derived from within Cyprus by non-residents with no local permanent establishment for services in regards to the exploration, extraction or exploitation of the continental shelf as well as the establishment and use of pipelines and other installations on the ground, on the seabed and on the surface of the sea.
WHT on dividend, interest and royalties’ tables
Table A below illustrates the applicable Cyprus WHT rates on outbound dividend, interest and royalty payments.
Table B, further below, illustrates the WHT rates provided for in the double tax treaties entered into by Cyprus. This table illustrates the maximum tax rates on Cyprus inbound payments which the treaty partner country may charge on such type incomes qualifying under the respective treaty. The actual WHT rate charged may be lower/ eliminated based on each paying country’s domestic law provisions.
Table A – WHT on outbound payments from Cyprus
Paid from Cyprus
Paid to | Dividends (1) % | Interest (1) % | Royalties Rights not used within Cyprus % | Royalties Rights used within Cyprus % |
Non-treaty countries | Nil | Nil | Nil | 5/10(2) |
Armenia | Nil | Nil | Nil | 5 |
Austria | Nil | Nil | Nil | Nil |
Bahrain | Nil | Nil | Nil | Nil |
Barbados | Nil | Nil | Nil | Nil |
Belarus | Nil | Nil | Nil | 5 |
Belgium | Nil | Nil | Nil | Nil |
Bosnia (7) | Nil | Nil | Nil | 5/10 (5) |
Bulgaria | Nil | Nil | Nil | 5/10 (5) |
Canada | Nil | Nil | Nil | 0/5/10 (4), (5) |
China, P.R. | Nil | Nil | Nil | 5/10 (5) |
Czech Republic | Nil | Nil | Nil | 0/10 (11) |
Denmark | Nil | Nil | Nil | Nil |
Egypt | Nil | Nil | Nil | 5/10 (5) |
Ethiopia | Nil | Nil | Nil | 5 |
Estonia | Nil | Nil | Nil | Nil |
Finland | Nil | Nil | Nil | Nil |
France | Nil | Nil | Nil | 0/5 (3) |
Georgia | Nil | Nil | Nil | Nil |
Germany | Nil | Nil | Nil | Nil |
Greece | Nil | Nil | Nil | 0/5 (5) |
Guernsey | Nil | Nil | Nil | Nil |
Hungary | Nil | Nil | Nil | Nil |
Iceland | Nil | Nil | Nil | 5 |
India | Nil | Nil | Nil | 5/10 (5) |
Iran | Nil | Nil | Nil | 5/6(5) |
Ireland, Rep. of | Nil | Nil | Nil | 0/5 (5) |
Italy | Nil | Nil | Nil | Nil |
Jersey | Nil | Nil | Nil | Nil |
Kuwait | Nil | Nil | Nil | 5 |
Latvia | Nil | Nil | Nil | 0/5 (12) |
Lebanon | Nil | Nil | Nil | Nil |
Lithuania | Nil | Nil | Nil | 5 |
Luxemburg(13) | Nil | Nil | Nil | Nil |
Malta | Nil | Nil | Nil | 5/10 (5) |
Mauritius (13) | Nil | Nil | Nil | Nil |
Moldova | Nil | Nil | Nil | 5 |
Montenegro (7) | Nil | Nil | Nil | 5/10 (5) |
Norway | Nil | Nil | Nil | Nil |
Poland | Nil | Nil | Nil | 5 |
Portugal | Nil | Nil | Nil | 5/10 (5) |
Qatar | Nil | Nil | Nil | 5 |
Romania | Nil | Nil | Nil | 0/5 (10) |
Russia | Nil | Nil | Nil | Nil |
San Marino(13) | Nil | Nil | Nil | Nil |
Serbia (7) | Nil | Nil | Nil | 5/10 (5) |
Seychelles | Nil | Nil | Nil | 5 |
Singapore | Nil | Nil | Nil | 5/10 (5) |
Slovakia Republic (9) | Nil | Nil | Nil | 0/5 (10) |
Slovenia | Nil | Nil | Nil | 5 |
South Africa | Nil | Nil | Nil | Nil |
Spain | Nil | Nil | Nil | Nil |
Sweden | Nil | Nil | Nil | Nil |
Switzerland | Nil | Nil | Nil | Nil |
Syria | Nil | Nil | Nil | 5/10 (5) |
Thailand | Nil | Nil | Nil | 5/10 (6) |
Ukraine | Nil | Nil | Nil | 5/10 (8) |
United Arab Emirates | Nil | Nil | Nil | Nil |
United Kingdom(14) | Nil | Nil | Nil | Nil |
United States | Nil | Nil | Nil | Nil |
Notes – Table A – outbound Payments from Cyprus
- Under Cyprus legislation, there is no WHT on dividends and interest paid to non-residents of Cyprus. Further, there is also no WHT on royalties paid to non-residents of Cyprus for rights not used within Cyprus.
- Royalties earned on rights used within Cyprus are subject to WHT of 10% (except royalties relating to cinematographic films, where the WHT rate is 5%).
- A WHT rate of 5% is applicable on royalties for cinematographic films including films and video tape for television.
- 0% on literary, dramatic, musical, or artistic work (excluding motion picture films and works on film or videotape for use in connection with television).
- The WHT rate of 5% is applicable on cinematographic film royalties.
- 5% WHT applies for any copyright of literary, dramatic, musical, artistic, or scientific work.
- Serbia, Montenegro and Bosnia apply the Yugoslavia/ Cyprus treaty.
- A 5% WHT will be levied on payment of royalties in respect of any copyright of scientific work, any patent, trademark, secret formula, process, or information concerning industrial, commercial, or scientific experience and cinematographic films.
- The Cyprus-Czechoslovakia treaty applies with the Slovak Republic.
- 5% rate applies for patents, trademarks, designs or models, plans, secret formulas, or processes, or any industrial, commercial, or scientific equipment, or for information concerning industrial, commercial, or scientific experience.
- 10% for patent, trademark, design or model, plan, secret formula or process, computer software or industrial, commercial, or scientific equipment, or for information concerning industrial, commercial, or scientific experience.
- Nil applies if the payer is company that is a resident in Cyprus and the beneficial owner of the income is a company (other than partnership) that is a resident in Latvia. 5% WHT rate applies for all other cases.
- The treaty/ amendments to the treaty is/are effective as from 1 January 2019
- The treaty is effective as from 1 January 2019 for Cyprus.
Table B- Maximum WHT on inbound payments to Cyprus
Received in Cyprus
Paid from | Dividends
% |
Interest
% |
Royalties
% |
Armenia | 0/5 (1) | 5 | 5 |
Austria | 10 | Nil | Nil |
Bahrain | Nil | Nil | Nil |
Barbados | Nil | Nil | Nil |
Belarus | 5/10/15 (2) | 5 | 5 |
Belgium | 10/15 (3) | 0/10 (4), (5) | Nil |
Bosnia (6) | 10 | 10 | 10 |
Bulgaria | 5/10 (7) | 0/7 (4), (8) | 10 (8) |
Canada | 15 | 0/15 (9) | 0/10 (10) |
China, P.R. | 10 | 10 | 10 |
Czech Republic | 0/5 (11) | Nil | 0/10 (12) |
Denmark | 0/15 (4), (13) | Nil | Nil |
Egypt | 15 | 15 | 10 |
Ethiopia | 5 | 5 | 5 |
Estonia | Nil | Nil | Nil |
Finland | 5/15 (14) | Nil | Nil |
France | 10/15 (15) | 0/10 (16) | 0/5 (17) |
Georgia | Nil | Nil | Nil |
Germany | 5/15 (18) | Nil | Nil |
Greece | 25 | 10 | 0/5 (19) |
Guernsey | Nil | Nil | Nil |
Hungary | 5/15 (3) | 0/10 (4) | Nil |
Iceland | 5/10 (39) | Nil | 5 |
India | 10 (20) | 0/10 (44) | 10 (21) |
Iran | 5/10(45) | 5 | 6 |
Ireland, Rep. Of | Nil | Nil | 0/5 (19) |
Italy | 15 | 10 | Nil |
Jersey | Nil | Nil | Nil |
Kuwait | 0 | 0 | 5 |
Latvia | 0/10 (42) | 0/10 (42) | 0/5 (43) |
Lebanon | 5 | 5 | Nil |
Lithuania | 0/5 (22) | Nil | 5 |
Luxemburg(46) | 0/5(47) | Nil | Nil |
Malta | Nil | 10 | 10 |
Mauritius (46) | Nil | Nil | Nil |
Moldova | 5/10 (24) | 5 | 5 |
Montenegro (6) | 10 | 10 | 10 |
Norway | 0/15 (36) | Nil | Nil |
Poland | 0/5 (23) | 0/5 (4) | 5 |
Portugal | 10 | 10 | 10 |
Qatar | Nil | Nil | 5 |
Romania | 10 | 0/10 (4) | 0/5 (25) |
Russia | 5/10 (26) | Nil | Nil |
San Marino (46) | Nil | Nil | Nil |
Serbia (6) | 10 | 10 | 10 |
Seychelles | Nil | Nil | 5 |
Singapore | Nil | 0/7/10 (4), (27) | 10 |
Slovak Republic (37) | 0/5(28), 10 | Nil 0/10(4) | 0/5(25) |
Slovenia | 5 | 5 | 5 |
South Africa | 5/10 (41) | Nil | Nil |
Spain | 0/5 (28) | Nil | Nil |
Sweden | 5/15 (3) | 0/10 (4) | Nil |
Switzerland | 0/15 (40) | Nil | Nil |
Syria | 0/15 (29) | 0/10 (9) | 10/15 (38) |
Thailand | 10 | 10/15 (30) | 5/10/15 (31) |
Ukraine | 5/15 (32) | 2 | 5/10 (33) |
United Arab Emirates | Nil | Nil | Nil |
United Kingdom (old)
United Kingdom (new) |
0/15 (34)
0/15(49) |
10
Nil |
0/5 (17)
Nil |
United States | 5/15 (35) | 0/10 (16) | Nil |
Notes – Table B – inbound payments to Cyprus
- The rate of 5% if a dividend is paid by a company in which the beneficial owner has invested less than EUR 150.000.
- A rate of 5% if the investment is not less than EUR 200.000 in the share capital of the company paying the dividend. If such investment is less than EUR 200000, dividends are subject to 15% WHT which is reduced to 10% if the recipient company controls 25% or more of the paying company.
- A rate of 15% applies if received by a company holding less than 25% of the share capital of the paying company and in all cases if received by an individual.
- No WHT if paid to the government/Central Bank/ Public Authority of the other state.
- No WHT for interest on deposits with banking institutions.
- Serbia, Montenegro and Bosnia apply the Yugoslavia/Cyprus treaty.
- The 5% rate applies to companies holding directly at least 25% of the share capital of the company paying the dividend. In all other cases the WHT is 10%.
- The treaty rates do not apply if the payment is made to a Cyprus entity by a resident of Bulgaria owning directly or indirectly at least 25% of the share capital of the Cyprus entity and the Cyprus entity pays tax in Cyprus at a tax rate lower than the usual tax rate.
- Nil if paid to a government/Central Bank/ Public Authority or for export guarantee.
- Nil on literary, dramatic, musical, or artistic work (but not including royalties in respect of motion picture films and works on film or videotape for use in connection with television).
- Nil applies if received by a company (excluding partnership) which holds directly at least 10% of the share capital of the paying company for an uninterrupted period of no less than one year. 5% applies in all other cases.
- 10% for patent, trademark, design or model, plan, secret formula or process, computer software or industrial, commercial, or scientific equipment, or for information concerning industrial, commercial, or scientific experience.
- A rate of 15% if received by a company controlling less than 10% of the share capital of the paying company or the duration of any holding is less than one uninterrupted year. A rate of 15% also applies if received by an individual.
- A rate of 15% applies if received by a company controlling less than 10% of the voting power in the paying company and in all cases if received by an individual.
- A rate of 15% if received by a company (partnership is excluded) holding less than 10% of the capital of the paying company and in all cases if received by an individual.
- Nil if paid to a government, bank, or financial institution.
- A rate of 5% on royalties for cinematographic films including films and video tapes for television.
- A rate of 15% if received by a company holding less than 10% of the capital of the paying company and in all cases if received by an individual.
- A rate of 5% on cinematographic film royalties (other than films shown on television).
- Prior to 1 April 2017, the applicable rate is 15% if received by a company holding less than 10% of the shares of the paying company and in all cases if received by an individual.
- A rate of 10% is also applicable for payments of a technical, managerial, or consulting nature. Prior to 1 April 2017, a rate of 15%applies on royalties.
- A rate of 5% if received by a company (other than partnership) holding less than 10% of the capital of the company paying the dividend and in all cases if received by an individual.
- Nil rate applies if the recipient company (partnership is excluded) holds directly 10% of the share capital of the paying company for an uninterrupted period of at least 2 years. 5% in allother cases.
- A rate of 5% applies if the beneficial owner is a company (other than a partnership) which holds directly at least 25% of the capital of the company paying the dividends. A rate of 10% in all other cases.
- 5% rate applies for patents, trademarks, designs or models, plans, secret formulas, or processes, or any industrial, commercial, or scientific equipment, or for information concerning industrial, commercial, or scientific experience.
- A rate of 10% on dividend if paid by a company in which the beneficial owner has invested less than EUR 100.000 in the share capital of the company paying the dividend.
- A rate of 7% if paid to a bank or financial institution.
- A rate of 5% if received by a company holding less than 10% of the capital of the paying company and in all cases if received by an individual or a company not limited at least partly by shares.
- A rate of 15% if received by a company holding less than 25% of the share capital of the paying company and in all cases if received by an individual or a company not limited at least partly by shares.
- A rate of 10% on interest received by a financial institution or when it relates to sale on credit of any industrial, commercial, or scientific equipment or of merchandise.
- A rate of 5% applies for any copyright of literary, dramatic, musical, artistic, or scientific work. A 10% rate applies for industrial, commercial, or scientific equipment. A 15% rate applies for patents, trademarks, designs or models, plans, secret formulas, or processes.
- A rate of 15% if a dividend is paid by a company in which the beneficial owner holds less than 20% of the share capital of the paying company and the beneficial owner has invested less than Euroο000.
- A 5% WHT will be levied on payment of royalties in respect of any copyright of scientific work, any patent, trade mark, secret formula, process or information concerning industrial, commercial or scientific experience. 10% WHT will be levied in all other cases.
- A rate of 15% applies to individual shareholders regardless of their percentage of shareholding. Companies controlling less than 10% of the voting shares are also entitled to a rate of 15%. Companies controlling at least 10% of the voting shares are entitled to nil WHT.
- A rate of 15% if received by a company controlling less than 10% of the voting power of the paying company and in all cases if received by an individual. If a company controls at least 10% of the voting power of the paying company in order to benefit from the WHT rate of 5% other conditions relating to the income of the paying company need to be satisfied, otherwise a WHT rate of 15%.
- Nil rates applies if the beneficial owner is a company (other than a partnership) which holds directly at least 10% of the capital of the company paying the dividends or if the beneficial owner of the shares is the Government of Cyprus or Norway. A rate of 15% in all other cases.
- The Cyprus – Czechoslovakia treaty applies with the Slovak Republic.
- 10% rate applies on payment of royalties of any copyright of literary, artistic or scientific work including cinematograph films, and films or tapes for television or radio broadcasting. A rate of 15% applies on payments of royalties of any patent, trade mark, design or model, plan, secret formula or process, or any industrial, commercial, or scientific equipment, or for information concerning industrial, commercial or scientific experience.
- A rate of 5% if received by company (other than a partnership) which holds directly at least 10% of the capital of the company paying the dividend. 10% in all other cases.
- Nil rate applies if the beneficial owner is a company (other than a partnership) which holds directly at least 10 per cent of the capital of the company paying the dividends during an uninterrupted period of at least one year (the holding period condition may be satisfied post the date of the dividend payment). Nil rate also applies if the beneficial owner is a pension fund or other similar institution or relates to the Government of Cyprus or Switzerland. 15% in all other cases.
- A protocol to the treaty entered into force on 18 September 2015 but may apply retrospectively. 5% rate applies if the beneficial owner is a company which holds at least 10% of the capital of the company paying the dividend. 10% in all other cases.
- Nil applies if the payer is a company that is a resident in Latvia and the beneficial owner of the income is a company (other than partnership) that is a resident in Cyprus. 10% rate applies for all other cases (except for certain governmental interest).
- Nil applies if the payer is a company that is a resident in Latvia and the beneficial owner of the income is a company (other than partnership) that is a resident in Cyprus. 5% rate applies for all other cases
- Nil if paid to a government or any other institution agreed upon between the two States. Prior to 1 April 2017, nil rate also applies if paid to a bank or financial institution.
- The WHT rate of 5% applies if the beneficial owner of the dividends holds directly at least 25% of the capital of the company paying the dividends.
- The treaty/ treaty amendments is/are effective as from 1 January 2019
- Nil applies if the beneficial owner (other than a partnership) holds directly at least 10% of the capital of the company paying the dividends. 5% WHT rate applies for all other cases.