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Foreign investors generally face 30% withholding tax (WHT) on United States (US)-source dividends, although an applicable tax treaty or domestic exemption can reduce the rate. The Internal Revenue Service (IRS) administers the U.S. federal withholding regime, while withholding agents apply the tax when dividends are paid. Foreign investors can obtain a reduced rate at source […]

Spain generally applies 19% withholding tax (WHT) to dividends paid to non-resident pension funds. A qualifying pension fund in the European Union (EU) or an eligible European Economic Area (EEA) state may claim a full exemption under Article 14.1(k) of Spain’s Non-Resident Income Tax Law. This can reduce the final Spanish tax liability to 0%. […]

Foreign investors generally face Spain’s 19% statutory dividend withholding tax (WHT), but the applicable tax treaty or domestic exemption may reduce the final liability. The Spanish Tax Agency, the Agencia Estatal de Administración Tributaria (AEAT), requires claimants to establish their entitlement to the dividend. Where the treaty requires it, they must also prove beneficial ownership. […]

Spain generally deducts 19% withholding tax (WHT) from dividends paid to non-resident investors. A double taxation agreement or Spanish domestic exemption may reduce the investor’s final tax liability. Investors can reclaim the excess from the Agencia Estatal de Administración Tributaria (AEAT) by filing Modelo 210. The AEAT administers the refund procedure, verifies entitlement and supporting […]

Spain generally deducts dividend WHT at 19% from payments to non-resident investors. Spain tax treaty rates may reduce the final liability to 15%, 10%, 5% or 0%, depending on the investor’s country, legal form, ownership percentage and beneficial ownership status. The Agencia Estatal de Administración Tributaria (AEAT), or Spanish Tax Agency, administers the tax and […]

Spain generally applies 19% withholding tax (WHT) to Spanish-source dividends paid to both EU and non-EU investors. The difference lies in the relief available after the investor’s residence, legal form and regulatory status are considered. Qualifying EU and European Economic Area (EEA) parent companies, pension funds and collective investment institutions may access domestic exemptions that […]

Spain generally applies 19% withholding tax (WHT) to dividends paid to non-resident investors. Foreign investors use Modelo 210 to request a refund from the Agencia Estatal de Administración Tributaria (AEAT) where a tax treaty or domestic exemption reduces the final Spanish liability. The recoverable amount normally equals the difference between the 19% withheld and the […]

Foreign investors can recover Spanish dividend withholding tax (WHT) when the standard 19% deduction exceeds the rate available under a double taxation agreement or Spanish domestic exemption. The Agencia Estatal de Administración Tributaria (AEAT) manages the refund process, and non-residents without a permanent establishment generally submit Form 210. Investors may obtain relief at source when […]

Spain generally applies 19% withholding tax (WHT) to gross dividends paid by Spanish companies to non-resident investors. The Agencia Estatal de Administración Tributaria (AEAT), Spain’s tax authority, administers the tax and processes refund claims. Eligible investors may obtain a lower treaty or domestic rate through relief at source or recover excess WHT by filing Form […]

France generally applies 25% dividend withholding tax (WHT) to non-resident companies and 12.8% to non-resident individuals. France tax treaty rates commonly limit WHT to 15% for portfolio investors, while qualifying corporate shareholders may benefit from rates of 10%, 5% or 0%. The Direction générale des Finances publiques (DGFiP) administers the rules, with excess tax generally […]