Malta: United Nations Pensions Programme rules

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

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

Malta: United Nations Pensions Programme rules

salomone.jpg

cassar.jpg

Mark Galea Salomone


Kirsten Cassar

On June 5 2015, the Maltese Parliament passed Legal Notice 184 (2015) introducing the United Nations Pensions Programme rules. Under this programme, qualifying beneficiaries in receipt of a pension paid out of the United Nations joint staff pension fund would be able to benefit from a special tax status in Malta. Through this programme, a beneficiary's UN pension income or widow's/widower's benefit remitted into Malta will be exempt from income tax, provided that 40% of the income in question is received in Malta. The beneficiary will then be taxed at a rate of 15% on any other form of income arising outside Malta that is remitted to Malta, with the possibility of claiming relief from double taxation. Capital gains derived from outside Malta and remitted into Malta will be taxed in accordance with the general Maltese tax rules, that is, they will not be taxed in Malta. To benefit under this programme, the minimum amount of tax payable on income remitted into Malta is €10,000 ($11,000) in respect of the beneficiary, and €5,000 if both spouses are in receipt of a UN pension. Tax on income that is sourced from or within Malta is to be taxed at the rate of 35%.

There are a number of conditions that must be satisfied to benefit under the programme. The applicant must:

  • not be or become a permanent or long-term resident of Malta, nor a Maltese national;

  • own or rent a 'qualifying property'. This means that the beneficiary must either acquire immovable property situated in Malta at a consideration of not less than €275,000, or not less than €220,000 for property situated in Gozo or in the south of Malta; or leasing or sub-leasing immovable property situated in Malta for not less €9,600 per annum, or €8,750 per annum for property situated in Gozo or the south of Malta;

  • be in receipt of sufficient resources for his maintenance and that of his dependants without recourse to social security in Malta;

  • be in possession of a valid travel document;

  • be in possession of sickness insurance for all risks across the whole of the European Union normally covered for Maltese nationals for himself and his dependants;

  • be able to adequately communicate in Maltese or English;

  • be deemed to be a fit and proper person; and

  • must not benefit from any other special tax scheme.

The programme also allows a beneficiary to hold a non-executive post on the board of a company registered in Malta.

A qualifying beneficiary may apply for special tax status to the Commissioner for Revenue through an authorised registered mandatory, paying upon application a non-refundable administrative fee of €4,000 or €3,500 dependent on where the immovable property is situated.

If particular criteria are no longer satisfied, or if the individual stays in any other jurisdiction for more than 183 days in a calendar year, the beneficiary will no longer be able to avail of the special tax status. An individual who ceases to benefit under the programme must notify the Commissioner no later than four weeks from when he becomes aware of such disqualifying event, or be liable to an administrative penalty of €5,000.

The UN Pension Programme departs from the Malta Retirement Programme rules, which is a similar programme that prescribes stricter conditions in order for a beneficiary to benefit from a 15% rate of tax on pension income remitted into Malta. The latter rules only apply to EU, EEA, or Swiss nations that are not domiciled in Malta and who must have no intention of establishing his/her domicile in Malta within five years from the granting of the special tax status. Although under the latter programme the minimum amount of tax payable is lower than under the UN Pension Programme (€7,500 for the beneficiary and €500 for every dependant) the eligible applicant must be in receipt of pension income in Malta that constitutes at least 75% of the beneficiary's chargeable income – this is substantially higher than the 40% threshold under the UN Pension Programme.

A final positive point regarding the UN Pension Programme is that the rules provide for the possibility of the special tax status being extended to pensioners of other specified international or regional organisations.

Mark Galea Salomone (mark.galeasalomone@camilleripreziosi.com) and Kirsten Cassar (kirsten.cassar@camilleripreziosi.com)

Camilleri Preziosi

Tel: +356 2123 8989

Website: www.camilleripreziosi.com

more across site & shared bottom lb ros

More from across our site

The arrival of a seven-strong team from Baker McKenzie will boost WTS Germany’s transfer pricing capabilities and help it become ‘a European champion’, the firm’s CEO said
Germany has forgotten to think about digital reporting requirements, a WTS partner claimed at ITR’s Indirect Tax Forum 2025
E-invoicing is currently characterised by dynamism, with fragmentation acting as a key catalyst for increasing interoperability, says Aida Cavalera of the International Observatory on eInvoicing
Pillar two and the US tax system ‘could work in harmony’, Scott Levine tells ITR in an exclusive interview to mark his arrival at Baker McKenzie
Peter White, who has a tax debt of A$2 million, has been banned for five years from seeking registration with Australia’s Tax Practitioners Board (TPB)
Wopke Hoekstra’s comments followed US measures aimed against ‘unfair foreign taxes’; in other news, Grant Thornton and Holland & Knight made key tax partner hires
An Administrative Review Tribunal ruling last month in Australia v Alcoa represents a 'concerning trend' for the tax authority, one expert tells ITR
A recent decision underlines that Indian courts are more willing to look beyond just legal compliance and examine whether foreign investment structures have real business substance
Following his Liberal Party’s election victory, one source expects Mark Carney to follow the international consensus on pillar two, as experts assess the new administration
A German economics professor was reportedly ‘irritated’ by how the Finnish ministry of finance used his data
Gift this article