DT4606 – Canada: Dividends
The Canadian tax deducted from dividends at the agreement
rate of 15 per cent (10 per cent where a dividend is paid to a
United Kingdom resident company controlling, directly or
indirectly, at least 10 per cent of the voting power in the
Canadian company) qualifies for credit as a direct tax (see
INTM164030(c)). The reduction to the above rate is not given if the
dividend is effectively connected (see INTM153110 fifth
sub-paragraph) with a permanent establishment or fixed base which
the United Kingdom resident recipient has in Canada.
Where a Canadian company pays a dividend to a United Kingdom
company which controls, directly or indirectly, not less than 10%
of the voting power in the Canadian company, credit may also be
given for the underlying tax (see INTM164030(d)) (Article
21(2)(b)).
