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Witholding tax on royalties on Barbados

Last updated: 08-02-2011
Treaty Barbados
Article  Royalties
Signed   28 November 2006
In force 12 July 2007


1. Royalties arising in a Contracting State and paid to a resident of the other Contracting State may be taxed in that other State.

2. However, such royalties may also be taxed in the Contracting State in which they arise and according to the laws of that State, but if the beneficial owner of
    the royalties is a resident of the other Contracting State, the tax so charged shall not exceed 5 percent of the gross amount of the royalties.

3. The term 'royalties' as used in this Article means payments of any kind received as a consideration for the use of, or the right to use, any copyright of
     literary, artistic or scientific work including cinematograph films, and films, discs or tapes for radio or television broadcasting, any patent, trade mark,
     design or model, plan, secret formula or process or for information concerning industrial, commercial or scientific experience.

4. Notwithstanding the provisions of paragraphs 1 and 2, copyright royalties in respect of the use of, or the right to use, any literary, artistic or scientific work
    (including royalties in respect of cinematographic films and films, discs or tapes for radio or television broadcasting) arising in a Contracting State and paid
    to a resident of the other Contracting State shall be exempt from tax in the first-mentioned State.

5. The competent authorities of the Contracting States shall by mutual agreement settle the mode of application of paragraphs 2 and 4.

6. The provisions of paragraphs 1, 2 and 4 shall not apply if the beneficial owner of the royalties, being a resident of a Contracting State, carries on business
     in the other Contracting State in which the royalties arise, through a permanent establishment situated therein, or performs in that other State independent
     personal services from a fixed base situated therein, and the right or property in respect of which the royalties are paid is effectively connected with such
     permanent establishment or fixed base. In such case the provisions of Article 7 or Article 14, as the case may be, shall apply.

7. Royalties shall be deemed to arise in a Contracting State when the payer is that State itself, a political subdivision, a local authority or a resident of that
    State. Where, however, the person paying the royalties, whether he is a resident of a Contracting State or not, has in another State than that of which he is
    a resident a permanent establishment or fixed base in connection with which the liability to pay the royalties was incurred, and such royalties are borne by
    such permanent establishment or fixed base, then such royalties shall be deemed to arise in the State in which the permanent establishment or fixed base
    is situated.

8. Where, by reason of a special relationship between the payer and the beneficial owner or between both of them and some other person, the amount of
    the royalties, having regard to the use, right or information for which they are paid, exceeds the amount which would have been agreed upon by the payer
    and the beneficial owner in the absence of such relationship, the provisions of this Article shall apply only to the last-mentioned amount. In such case, the
    excess part of the payments shall remain taxable according to the laws of each Contracting State, due regard being had to the other provisions of this
    Convention.

The above information is the wording of the article dealing with the withholding tax on royalties of the tax treaty between The Netherlands and Barbados.  Please note that the ultimate withholding tax rate may differ from the treaty rate, for instance as consequence of domestic anti-abuse legislation, provisions of the treaty protocol, etc. Before you use this information we therefore strongly recommend that you consult us to determine the accurate withholding tax rate for your specific situation. If you require our follow up, you can contact us via e-mail or call us at our offices: Ph. + 31 (10) 2010466.