Egypt ratifies its DTA with Kuwait

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Egypt ratifies its DTA with Kuwait

Sponsored by

Eurofast Egypt
AdobeStock_104910373_Egypt

The Egyptian President Abdel Fatah El Sisi issued Presidential Decree No. 155 of 2016 on February 23 2017, ratifying the double tax treaty concluded between Egypt and Kuwait on December 16 2014.

najm.jpg

Ali Najm

The convention between Egypt and Kuwait serves the purpose of avoiding double taxation in connection with the taxes applied on income in both countries and to mitigate the risk of tax evasion by both countries' taxpayers. This convention will be in force for five years and will continue to be valid for the same term/s unless one of the countries notifies the other with its termination notice six months before the termination date. Once effective, it will replace the previous tax treaty signed between the two countries in 2004.

All taxes applied to income, including the taxes on profits resulting from transferrable or non-transferrable belongings, real estate and the taxes applied to the salaries and wages paid by the projects, is subject to the convention. The provisions of the agreement are also applied to any similar taxes in its nature, which may be introduced after the date of signing the treaty.

The tax treaty states that profits achieved by a project of any of the two countries are subject to taxes in its country of origin only, unless the project is performing activities in the other country through a permanent establishment there. In such a case, the profits achieved by the permanent establishment shall be subject to taxes in that other country. Each country shall then determine its share of the profits.

As for international transport activities, the profits resulting from operating vessels or airplanes are subject to taxes only in the country in which the physical headquarters of the project is located. However, if the physical headquarters of a maritime project is a vessel, it is considered located inside the country of the vessel's port even if the port is not located in the country in which the vessel's operator is residing.

In regards to interest, the applied withholding tax shall not exceed 10% of the total interest paid. A lower 5% withholding tax rate will be applicable if the beneficial owner is a company owning at least 10% of the capital in the dividend-distributing entity. Interest and royalties are also subject to a 10% withholding tax rate.

The convention has also spotlighted the treatment of the income received by actors and sports players who are residing in one of the two countries and acting as cinema or theatre actors, radio or television presenters, musicians or sports players. The income from these activities can be subject to taxes in the country of residence unless the assignment/visit is totally or partially financed by public funds from his/her country.

Ali Najm (ali.najm@eurofast.eu)

Eurofast Global

Tel: +357 22699222

Website: www.eurofast.eu

more across site & shared bottom lb ros

More from across our site

Jennifer Best was most recently the acting commissioner of the IRS’s large business and international division
Section 899’s exclusion from the One Big Beautiful Bill does not mean it has been nipped in the bud, Aruna Kalyanam also tells ITR
Thanks to operational slickness and sheer force of will, A&M Tax will continue hoovering up talent across the globe
Setu Kamal became the first practising barrister to be added to the UK’s tax avoidance promoter list; in other news, UHY expanded its network in Canada
US President Donald Trump’s tariffs may get thrown out by courts in the future and taxpayers should already be planning for that possibility, BDO’s Dustin Stamper tells ITR
Awards
ITR is delighted to reveal the first shortlisted nominees for the Middle East Tax Awards
The firm has appointed Deloitte’s former tax leader for Thailand to lead the new operation, which builds on considerable Asian investment in recent months
The Donald Trump administration could use legislation from 1930 if the Supreme Court blocks its tariffs; in other news, China has updated its VAT refund procedures
Braun gives ITR an exclusive insight into WTS Digital’s UK launch of its AI product, which can free up more than 1,500 hours per month by reducing routine tasks
Long tells ITR about her varied role, why curiosity is a key characteristic for the tax professional, and what she’d be doing if she wasn’t working in tax
Gift this article