DT3660.10 - DT: Bolivia: double taxation agreement, SI 95 No.2707, Article 10: Dividends
- Dividends paid by a company which is a resident of a
Contracting State to a resident of the other Contracting State may
be taxed in that other State.
- However, such dividends may also be taxed in the Contracting
State of which the company paying the dividends is a resident and
according to the laws of that State, but if the recipient is the
beneficial owner of the dividends the tax so charged shall not
exceed 15 per cent of the gross amount of the dividends.
- The term `dividends` as used in this Article means income from
shares, or other rights, not being debt-claims, participating in
profits, as well as income from other corporate rights assimilated
to income from shares by the taxation laws of the State of which
the company making the distribution is a resident and also includes
any other item which, under the laws of the Contracting State of
which the company paying the dividend is a resident, is treated as
a dividend or distribution of a company.
- The provisions of paragraphs (1) and (2) of this Article shall
not apply if the beneficial owner of the dividends, being a
resident of a Contracting State, carries on business in the other
Contracting State of which the company paying the dividends is a
resident, through a permanent establishment situated therein, or
performs in that other State independent personal services from a
fixed base situated therein, and the holding in respect of which
the dividends are paid is effectively connected with such permanent
establishment or fixed base. In such case the provisions of Article
7 or Article 14 of this Convention, as the case may be, shall
apply.
- Where a company which is a resident of a Contracting State
derives profits or income from the other Contracting State, that
other State may not impose any tax on the dividends paid by the
company, except insofar as such dividends are paid to a resident of
that other State or insofar as the holding in respect of which the
dividends are paid is effectively connected with a permanent
establishment or a fixed base situated in that other State, nor
subject the company's undistributed profits to a tax on
undistributed profits, even if the dividends paid or the
undistributed profits consist wholly or partly of profits or income
arising in that other State.
