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Kuwait Double Taxation Agreements

Legislation in one of the contracting states continues to govern the placement and taxation of income in contracting states, unless expressly provided for by this agreement. In the state of Kuwait, there is no personal tax. In addition, Kuwaiti tax law does not define the concept of resident/non-resident and stable establishment (PE). As a result, the presence in Kuwait of representatives/staff of foreign companies that provide suppliers or billing companies may have an impact on corporate tax. In practice, the Kuwaiti Tax Administration (KTA) even envisages a single one-day visit to Kuwait to create a taxable presence in the absence of a double taxation agreement between the country or territory of the tax-residence company and Kuwait. We can provide current and historical tax rates, comparison tables and country surveys through our specialized tax databases. We have current key summaries and detailed analysis of the tax system in countries around the world on corporate taxation, individual taxation, business and investment. In the case of a double taxation agreement between Kuwait and the country/territory of the foreign tax-residence body (depending on the period indicated in the contract), the absence of a period less than that indicated in the treaty cannot create an MOU. However, the compliance process is still necessary in the event of contract exemptions. We contain a collection of global double taxation conventions in English (and other languages, if available) to assist members in their applications.

If you`re having trouble finding a contract, call the application team on (0)20 7920 8620 or email us at The Indian government and the Kuwaiti government intend to reach an agreement to avoid double taxation of international air transport revenues. G.S.R. 302 (E). -The annexed agreement between the Government of the Republic of India and the Government of the State of Kuwait to avoid the double taxation of international air transport revenues, which comes into force when the two States Parties notify the procedures under Article 5 of that Convention, enters into force.

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