Since there are many rules and complications that can arise when applying double taxation treaties, it is important to seek the help of a qualified and experienced accountant. For the purposes of this Article, we consider a person to be resident for tax purposes in the United Kingdom and another country, although there are double taxation treaties between two countries. Although relatively common, the application of double taxation treaties and, therefore, the right to tax relief can be a complex issue. Every double taxation treaty is different, although many very similar guidelines follow, even if the details are different. That`s why we offer a free initial consultation with a qualified accountant who can provide you with answers to your questions and help you understand if a double taxation treaty might apply to you and help you save significant amounts of unnecessary taxes. Indonesia Tax Profile Profiles created by KPMG highlights cross-border business and investment tax issues. The guide contains sections on corporate tax, transfer pricing, indirect taxation, personal taxation, trade and customs. Updated july 2018. The table below lists the countries that have concluded a double taxation treaty with the United Kingdom (as of 23 October 2018). An up-to-date list of active and historical double taxation treaties can be found on the UK Government`s website. It is much more common to use the services of a qualified accountant who is experienced in applying for tax relief through double taxation treaties.
Fees vary depending on the complexity of a person`s personal circumstances, in almost all cases, tax savings exceed the costs of using an accountant – and they can be sure to pay the right amount of tax with absolute confidence. If you are considered a tax resident in two or more countries, it is important to understand possible tax relief through double taxation treaties We maintain a collection of global double taxation treaties in English (and other languages if available) to help members answer their questions. . . .