Our Expert Blogs

Quarterly WHT Reconciliation: Best Practices for Fund Administrators

Why quarterly WHT reconciliation funds matters more than most teams admit A Quarterly close already forces fund administrators to prove that the numbers reconcile, the valuation holds, and the documentation exists. Still foreign dividend withholding tax (WHT) still gets treated like an annoying residue: booked as an estimate, parked in a receivable account, then forgotten […]

February 6, 2026
Private Equity Holding Platforms: Dividend WHT Risks When Portfolio Companies Pay Out

Private equity (PE) groups use holding platforms to centralise control, standardise governance, and simplify exits. Those platforms also concentrate dividend risk. When portfolio companies finally distribute cash, the source country can take a meaningful bite through dividend withholding tax (WHT). If you lose treaty or directive protection, the leakage lands immediately and compounds across the […]

February 5, 2026
Coordinating Withholding Tax Recovery Across Multiple Custodians

A multi-custodian model reduces concentration risk. It also multiplies operational friction. The moment you split a portfolio across two or more custodians, you create parallel data realities for the same dividend or interest event. That is where multi-custodian tax reclaim programs either mature into a controlled operating model or drift into a recurring clean-up exercise. […]

February 4, 2026
How WHT Leakage Impacts Fund Performance: A Basis Point Analysis

The investment industry prices success in basis points. Consequently, performance reporting, manager selection, fee negotiations, and tracking error discussions all revolve around marginal differences. Yet, despite this precision, one of the most persistent sources of underperformance in cross-border portfolios still sits outside most performance narratives: withholding tax (WHT) leakage. This article will quantify how WHT […]

February 3, 2026
Withholding Tax Recovery for Asset Managers: A Definitive Guide

Withholding tax (WHT) is one of the most persistent sources of avoidable performance drag for asset managers running cross-border portfolios. It looks simple at first glance: A country withholds tax on dividends or interest, a treaty or domestic exemption promises a lower rate, and the gap should be refundable. Reality behaves differently. For asset managers, […]

February 2, 2026
ETFs vs. Mutual Funds: Different WHT Pain Points & Fixes

Introduction: similar exposures, very different WHT outcomes Exchange traded funds (ETFs) and mutual funds often hold the same shares. Both collect dividends. Both suffer dividend withholding tax (WHT) on cross-border income. Yet the way dividend WHT lands in each vehicle is very different. The result is different tax drag, different tracking error and very different […]

January 30, 2026
Portugal 2025 Supreme Administrative Court Wins: Momentum for Dividend WHT Refunds to EU Funds

Portugal is no longer a “theory-only” market for European Union funds that suffered dividend withholding tax. Case law is hardening into something operational teams can use. The Portuguese Supreme Administrative Court (Supremo Tribunal Administrativo) has reinforced the discrimination point and, in 2025, tightened the cash economics through clearer interest rules. For asset managers, that shift […]

January 28, 2026
Reclaiming WHT from Turkey: Treaty Benefits vs Political Risk

Reclaiming WHT from Turkey is no longer a back-office hygiene task. It is now a yield-protection strategy. Turkey remains a compelling market, but its tax and policy environment has become unpredictable. Dividend withholding tax has changed, treaties interact unevenly, and political signals continue to increase risk. This article sets out a pragmatic playbook for dividend […]

January 26, 2026
The United Arab Emirates applies 0% withholding tax on most outbound payments, including dividends. That 0% dividend WHT headline still attracts

The new reality behind a familiar 0% dividend WHT headline The United Arab Emirates applies 0% withholding tax on most outbound payments, including dividends. That 0% dividend WHT headline still attracts holding companies and regional treasury centres. A broad double tax treaty network reinforces this position and often reduces foreign dividend withholding tax into the […]

January 23, 2026
Ireland DWT: Hitting the Quick-Refund Window Without Creating Downstream Risk

Institutional investors cannot afford to let Irish dividend cash sit in limbo. If you hold Irish-source positions, the operational split between a quick refund and a standard reclaim dictates both your liquidity profile and your audit exposure. This article sets out a pragmatic, audit-defensible way to hit the Ireland DWT quick refund window and avoid […]

January 21, 2026

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