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Published:
04.10.2016
Last Updated:
09.01.2026
04.10.2016

Malta Double Tax Treaties

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Successive Maltese governments has concluded over 80 double tax treaties with important trading partners and emerging countries around the world to encourage the growth of international trade and the development of Malta's connectivity in the financial services world.  Malta's bilateral double tax treaties resolve issues involving double taxation of passive and active income.

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Double taxation often occurs as an unintended consequence of tax legislation, whereby international businesses are burdened with income tax arising from the country where the income was earned, and taxed once more when the income is repatriated in the home country of the business. This is an issue which tax authorities all over the world seek to avoid. Therefore, several countries, including Malta, seek to enter into double tax treaties with important trading partners in an effort to resolve the issue of double taxation.

With a view to encouragnig growth in international trade and the development of Malta's connectivity in the financial services world, successive Maltese governments have concluded over 80 double tax treaties with important trading partners and emerging countries around the world and continue to seek more trading partners worldwide.  Malta's bilateral double tax treaties resolve issues involving double taxation of passive and active income.

In addition to its extensive network of double tax treaties, Malta vaunts an effective system for relief of double taxation which also includes the granting of unilateral relief, including credit system for relief of underlying tax, as well as a Flat Rate Foreign Tax Credit system.

OECD based Tax Treaty Network

The majority of Malta’s double tax treaties are based on the OECD model, including the double tax treaties signed with other EU member states.

The Double Tax Treaties- the refund mechanism

Double tax relief on income which arises outside of Malta, but which was also included in one’s taxable income may be claimed by taxpayers who satisfy certain conditions.

Taxpayers will receive compensation for the foreign tax incurred which will be given in the form of credit against the tax chargeable in Malta on the gross chargeable income, provided that such credit does not exceed the total tax liability in Malta on the foreign source income. Where a treaty has not been established yet, relief from double taxation may still be obtained through the granting of unilateral relief.

Companies that satisfy a number of conditions may elect to claim double tax relief in the form of the flat rate foreign tax credit instead of other forms of double tax relief. This may be the most advantageous option for companies whose foreign income has been exempt from tax or is taxed at a reduced rate.

Withholding taxes

Generally, the treaty rate on dividends which is due to be paid by Maltese Companies is the company tax rate of 35%. Thanks to Malta’s full imputation system in respect of dividends paid, shareholders may benefit from a credit with regards to the tax paid by the company. Thus, company profits are taxed once and no more taxes will need to be paid by the shareholders on distributions.

Dividends which are paid to non-residents are not subject to withholding tax under Malta’s taxation laws. Moreover, interest and royalties paid to non-residents are exempt from tax in Malta, provided that such non-residents are not connected with a permanent establishment in Malta through which they engage in trade or business. Therefore, residents of non-treaty and non-treaty countries will enjoy a withholding tax of 0% on dividends, interests and royalties paid to them.

Furthermore, non-residents enjoy 0% tax on capital gains which arise on transfers of company shares or securities, excluding gains which arise from the transfer of shares and securities of companies whose assets mainly consist of immovable property situated in Malta.

Malta Double Tax Treaties and Tax Information Exchange Agreements

In force:  


Country

Dividends

Interest

Royalties

Rate for minor shareholding %

Rate for major shareholding %

Percentage required to qualify for major shareholding %

Rates %

Rates %

Albania


15


5

25

5

5

Andorra


0


0

0

0

0

Armenia


10


5

10

5

5
Australia
15


15

NA

15

10

Austria

15

15

NA

5

10

Azerbaijan

8

8

NA

8

8

Bahrain

0

0

NA

0

0

Barbados

15

5

5

5

5

Belgium

15

15

NA

10

10

Botswana

6

5

25

Bulgaria

0

0

NA

-

10

Canada

15

15

NA

15

10

China

10

5

25

10

10

Croatia

5

5

NA

0

0

Cyprus

15

15

NA

10

10

Czech Rep.

5

5

NA

0

5

Denmark

15

0

25

0

0

Egypt

10

10

NA

10

12

Estonia

15

5

25

10

10

Finland

15

5

10

0

0

France

15

0

10

5

10

Georgia

-

-

-

0

0

Germany

15

5

10

0

0

Greece

10

5

25

8

8

Guernsey

0

0

NA

0

0

Hong Kong

0

0

0

0

3

Hungary

15

5

25

10

10

Iceland

15

5

10

0

5

India

10

10

NA

10

10

Ireland

15

5

10

0

5

Isle of Man

0

0

0

0

0

Israel

15

0

10

5

0

Italy

15

15

NA

10

10

Jersey

0

0

0

0

0

Jordan

10

10

NA

10

10

Korea

15

5

25

10

0

Kosovo

10

0

10

5

0

Kuwait

0

0

NA

0

10

Latvia

10

5

25

10

10

Lebanon

5

5

NA

0

5

Libya

15

5

10

5

5

Liechtenstein

-

-

NA

0

0

Lithuania

15

5

25

10

10

Luxembourg

15

5

25

0

10

Malaysia

-

-

NA

15

15

Mauritius

0

0

NA

0

0

Mexico

-

-

NA

10

Moldova

5

5

NA

0

0

Monaco

0

0

0

0

0

Montenegro

10

5

25

10

Morocco

10

7

25

10

10

Netherlands

15

5

25

10

10

Norway

15

0

10

0

0

Pakistan

-

15

20

10

10

Poland

10

0

10

5

5

Portugal

15

10

25

10

10

Qatar

-

-

NA

0

5

Romania

5

5

NA

5

5

Russia

NA

5

San Marino

10

5

25

0

0

Saudi Arabia

5

5

NA

0

Serbia

10

5

25

10

Singapore

0

0

NA

10

Slovakia

5

5

NA

0

5

Slovenia

15

5

25

5

5

South Africa

10

5

10

10

10

Spain

5

0

25

0

0

Sweden

15

0

10

0

0

Switzerland

15

0

10

10

0

Syria

0

0

NA

10

18

Tunisia

10

10

NA

12

12

Turkey

15

10

25

10

10

UAE

0

0

0

0

0

UK

-

-

NA

10

10

Ukraine

15

5

20

10

10

Uruguay

15

5

25

10

USA

15

5

10

10

10

Vietnam

15

5

50

10

Albania, Andorra, Australia, Austria, Azerbaijan, Bahrain, Barbados, Belgium, Botswana, Bulgaria, Canada, China, Croatia, Cyprus, Czech Rep., Denmark, Egypt, Estonia, Finland, France, Georgia, Germany, Greece, Guernsey, Hong Kong, Hungary, Iceland, India, Ireland, Isle of Man, Israel, Italy, Jersey, Jordan, Korea, Kosovo, Kuwait, Latvia, Lebanon, Libya, Liechtenstein, Lithuania, Luxembourg, Malaysia, Mauritius, Mexico, Moldova, Monaco, Montenegro, Morocco, Netherlands, Norway, Pakistan, Poland, Portugal, Qatar, Romania, Russia, San Marino, Saudi Arabia, Serbia, Singapore, Slovakia, Slovenia, South Africa, Spain, Sweden, Switzerland, Syria, Tunisia, Turkey, UAE, UK, Ukraine, Uruguay, USA, Vietnam.

  • Treaties signed but not yet in force:  Belgium, Curaçao
  • Tax Information Exchange Agreements in Force: Bahamas, Bermuda, Cayman Islands, Gibraltar, USA.
  • Tax Information Exchange Agreements – signed but not in force: Macao

For the official list of double tax treaties, refer to the website of  the Commissioner for Revenue's website CfR.

 

Copyright © 2025 Chetcuti Cauchi. This document is for informational purposes only and does not constitute legal advice. Professional legal advice should be obtained before taking any action based on the contents of this document. Chetcuti Cauchi disclaims any liability for actions taken based on the information provided. Reproduction of reasonable portions of the content is permitted for non-commercial purposes, provided proper attribution is given and the content is not altered or presented in a false light.

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what's inside

Successive Maltese governments has concluded over 80 double tax treaties with important trading partners and emerging countries around the world to encourage the growth of international trade and the development of Malta's connectivity in the financial services world.  Malta's bilateral double tax treaties resolve issues involving double taxation of passive and active income.

  • Malta has concluded over 80 double tax treaties to eliminate double taxation on both passive and active income.
  • Taxpayers may claim foreign tax credit relief, provided it does not exceed Malta’s tax liability on the same income.
  • Malta offers unilateral relief and a Flat Rate Foreign Tax Credit system for companies meeting specific conditions.
  • Dividends, interest, and royalties paid to non-residents are generally exempt from withholding tax under Maltese law.

What is a Double Tax Treaty?

Double taxation often occurs as an unintended consequence of tax legislation, whereby international businesses are burdened with income tax arising from the country where the income was earned, and taxed once more when the income is repatriated in the home country of the business. This is an issue which tax authorities all over the world seek to avoid. Therefore, several countries, including Malta, seek to enter into double tax treaties with important trading partners in an effort to resolve the issue of double taxation.

With a view to encouragnig growth in international trade and the development of Malta's connectivity in the financial services world, successive Maltese governments have concluded over 80 double tax treaties with important trading partners and emerging countries around the world and continue to seek more trading partners worldwide.  Malta's bilateral double tax treaties resolve issues involving double taxation of passive and active income.

In addition to its extensive network of double tax treaties, Malta vaunts an effective system for relief of double taxation which also includes the granting of unilateral relief, including credit system for relief of underlying tax, as well as a Flat Rate Foreign Tax Credit system.

OECD based Tax Treaty Network

The majority of Malta’s double tax treaties are based on the OECD model, including the double tax treaties signed with other EU member states.

The Double Tax Treaties- the refund mechanism

Double tax relief on income which arises outside of Malta, but which was also included in one’s taxable income may be claimed by taxpayers who satisfy certain conditions.

Taxpayers will receive compensation for the foreign tax incurred which will be given in the form of credit against the tax chargeable in Malta on the gross chargeable income, provided that such credit does not exceed the total tax liability in Malta on the foreign source income. Where a treaty has not been established yet, relief from double taxation may still be obtained through the granting of unilateral relief.

Companies that satisfy a number of conditions may elect to claim double tax relief in the form of the flat rate foreign tax credit instead of other forms of double tax relief. This may be the most advantageous option for companies whose foreign income has been exempt from tax or is taxed at a reduced rate.

Withholding taxes

Generally, the treaty rate on dividends which is due to be paid by Maltese Companies is the company tax rate of 35%. Thanks to Malta’s full imputation system in respect of dividends paid, shareholders may benefit from a credit with regards to the tax paid by the company. Thus, company profits are taxed once and no more taxes will need to be paid by the shareholders on distributions.

Dividends which are paid to non-residents are not subject to withholding tax under Malta’s taxation laws. Moreover, interest and royalties paid to non-residents are exempt from tax in Malta, provided that such non-residents are not connected with a permanent establishment in Malta through which they engage in trade or business. Therefore, residents of non-treaty and non-treaty countries will enjoy a withholding tax of 0% on dividends, interests and royalties paid to them.

Furthermore, non-residents enjoy 0% tax on capital gains which arise on transfers of company shares or securities, excluding gains which arise from the transfer of shares and securities of companies whose assets mainly consist of immovable property situated in Malta.

Malta Double Tax Treaties and Tax Information Exchange Agreements

In force:

Jurisdiction Date of Signature Date of Entry into Force Convention
Albania ‡ 2-May-00 23-Nov-00 LN 122 of 2001
28-May-19 01-Jan-21 Synthesised Text
Andorra ‡ 20-Sep-16 27-Sep-17 LN 118 of 2018
07-Jun-17 01-Jan-22
Armenia 24-Sep-19 25-Nov-21 LN 28 of 2020
Australia ‡ 9-May-84 20-May-85 LN 41 of 1985
  7-Jun-17 1-Apr-19 Synthesised Text
Austria ‡ 29-May-78 13-Jul-79 LN 130 of 1981
  7-Jun-17 1-Apr-19 Synthesised Text
Azerbaijan 29-Apr-16 27-Dec-16 LN 241 of 2016
Bahrain ‡ 12-Apr-10 28-Feb-12 LN 82 of 2012
27-Nov-20 01-Jun-22
Barbados* ‡ 3-Dec-01 19-Jun-02 LN 249 of 2002
25-Sep-13 30-Apr-14 LN 447 of 2013
24-Jan-18 01-Apr-21
Belgium ‡ 28-Jun-74 3-Jan-75 LN 108 of 1976
  23-Jun-93 17-Oct-02 LN 83 of 2003
19-Jan-10 31-Jul-17 LN 60 of 2020
07-Jun-17 01-Oct-19
Botswana 2-Oct-17 13-Nov-18 LN 193 of 2018
Bulgaria 23-Jul-86 17-May-87 LN 62 of 1988
Canada ‡ 25-Jul-86 20-May-87 LN 12 of 1988
07-Jun-17 01-Dec-19 Synthesised Text
China 23-Oct-10 25-Aug-11 LN 423 of 2011
Croatia ‡ 21-Oct-98 22-Aug-99 LN 71 of 2000
07-Jun-17 01-Jun-21
Curaçao † 18-Nov-15 - LN 1 of 2016
Cyprus ‡ 22-Oct-93 11-Aug-94 LN 139 of 1994
07-Jun-17 01-May-20
Czech Republic ‡ 21-Jun-96 6-Jun-97 LN 228 of 1997
07-Jun-17 01-Sep-2020
Denmark ‡ 13-Jul-98 30-Dec-98 LN 124 of 1999
07-Jun-17 01-Jan-20
Egypt ‡ 20-Feb-99 7-Apr-01 LN 205 of 2001
07-Jun-17 01-Jan-21
Estonia ‡ 3-May-01 22-Jan-03 LN 114 of 2003
29-Jun-18 01-May-21
Ethiopia † 12-Apr-18 - LN 182 of 2018
Finland ‡ 30-Oct-00 30-Dec-01 LN 34 of 2002
07-Jun-17 01-Jun-19 Synthesised Text
France* ‡ 25-Jul-77 1-Oct-79 LN 5 of 1983
  8-Jul-94 1-Sep-97 LN 238 of 1998
  29-Aug-08 1-Jun-10 LN 329 of 2010
  7-Jun-17 1-Apr-19  
Georgia 23-Oct-09 30-Dec-09 LN 65 of 2010
Germany* 8-Mar-01 27-Dec-01 LN 254 of 2002
  17-Jun-10 19-May-11 LN 383 of 2010
Ghana† 26-Mar-19 - LN 23 of 2020 
Greece ‡ 13-Oct-06 30-Aug-08 LN 268 of 2008
07-Jun-17 01-Jul-21
Guernsey ‡ 12-Mar-12 10-Mar-13 LN 117 of 2013
07-Jun-17 01-Jun-19 Synthesised Text
Hong Kong 8-Nov-11 18-Jul-12 LN 321 of 2012
Hungary ‡ 6-Aug-91 29-Nov-92 LN 75 of 1994
07-Jun-17 01-Jul-21 Synthesised Text
Iceland ‡ 23-Sep-04 19-Apr-06 LN 261 of 2006
07-Jun-17 01-Jan-20 Synthesised Text
India ‡ 8-Apr-13 7-Feb-14 LN 448 of 2013
07-Jun-17 01-Oct-19 Synthesised Text
Ireland ‡ 14-Nov-08 15-Jan-09 LN 62 of 2009
07-Jun-17 01-May-19 Synthesised Text
Isle of Man ‡ 23-Oct-09 26-Feb-10 LN 162 of 2010
  7-Jun-17 1-Apr-19 Synthesised Text
Israel ‡ 28-Jul-11 8-Dec-13 LN 343 of 2013
  7-Jun-17 1-Apr-19 Synthesised Text
Italy* 16-Jul-81 8-May-85 LN 31 of 1986
  13-Mar-09 24-Nov-10 LN 14 of 2011
Jersey ‡ 25-Jan-10 19-Jul-10 LN 432 of 2010
  7-Jun-17 1-Apr-19 Synthesised Text
Jordan ‡ 16-Apr-09 13-Oct-10 LN 501 of 2010
19-Dec-19 01-Jan-21 Synthesised Text
Korea (Republic of) ‡ 25-Mar-97 21-Mar-98 LN 18 of 1999
07-Jun-17 01-Sep-20
Kosovo 6-Mar-19 20-Sep-19 LN 168 of 2019
Kuwait 24-Jul-02 19-Mar-04 LN 349 of 2004
Latvia ‡ 22-May-00 24-Oct-00 LN 89 of 2001
07-Jun-17 01-Feb-20 Synthesised Text
Lebanon* 23-Feb-99 10-Feb-00 LN 119 of 2000
  16-Apr-09 23-Mar-10 LN 242 of 2010
Libya 28-Dec-08 20-May-10 LN 328 of 2010
Liechtenstein ‡ 27-Sep-13 1-Jul-14 LN 65 of 2014
07-Jun-17 01-Apr-20
Lithuania ‡ 17-May-01 2-Feb-04 LN 337 of 2004
  7-Jun-17 1-Apr-19 Synthesised Text
Luxembourg ‡ 29-Apr-94 14-Feb-96 LN 65 of 1996
  30-Nov-11 11-Jul-13 LN 238 of 2013
07-Jun-17 01-Aug-19 Synthesised Text
Malaysia ‡ 3-Oct-95 1-Sep-00 LN 281 of 2002
24-Jan-18 01-Jun-21
Mauritius ‡ 15-Oct-14 23-Apr-15 LN 409 of 2014
05-Jul-17 01-Feb-20
Mexico 17-Dec-12 9-Aug-14 LN 239 of 2013
Moldova 10-Apr-14 17-Jun-15 LN 151 of 2014
Monaco 27-Sep-18 16-May-19 LN 70 of 2019 
Montenegro 4-Nov-08 23-Sep-09 LN 343 of 2009
Morocco 26-Oct-01 15-Jun-07 LN 189 of 2007
Netherlands ‡ 18-May-77 9-Nov-77 LN 90 of 1980
  18-Jul-95 18-Mar-99 LN 146 of 1999
07-Jun-17 01-Jul-19
Norway ‡ 30-Mar-12 14-Feb-13 LN 118 of 2013
07-Jun-17 01-Nov-19 Synthesised Text
Pakistan ‡ 8-Oct-75 20-Dec-75 LN 54 of 1980
07-Jun-17 01-Apr-21
Poland* 7-Jan-94 24-Nov-94 LN 28 of 1995
  6-Apr-11 22-Nov-11 LN 14 of 2012
30-Nov-20 11-Mar-22 LN 64 of 2021
Portugal ‡ 26-Jan-01 5-Apr-02 LN 105 of 2002
07-Jun-17 01-Jun-20
Qatar ‡ 26-Aug-09 9-Dec-09 LN 69 of 2010
04-Dec-18 01-Apr-20 Synthesised Text
Romania ‡ 30-Nov-95 16-Aug-96 LN 65 of 1997
07-Jun-17 01-Jun-22
Russia* ‡ 23-Apr-13 22-May-14 LN 159 of 2013
01-Oct-20 23-Mar-21 LN 428 of 2020
07-Jun-17 01-Oct-19
San Marino ‡ 3-May-05 19-Jul-05 LN 270 of 2006
  10-Sep-09 15-Feb-10 LN 192 of 2010
07-Jun-17 01-Jul-20
Saudi Arabia ‡ 4-Jan-12 1-Dec-12 LN 25 of 2013
18-Sep-18 01-May-20 Synthesised Text
Serbia ‡ 9-Sep-09 16-Jun-10 LN 431 of 2010
  7-Jun-17 1-Apr-19 Synthesised Text
Singapore* ‡ 21-Mar-06 29-Feb-08 LN 194 of 2008
  20-Nov-09 28-Jun-13 LN 257 of 2013
  7-Jun-17 1-Apr-19 Synthesised Text
Slovakia ‡ 7-Sep-99 20-Aug-00 LN 1 of 2001
7-Jun-17 1-Apr-19 Synthesised Text
Slovenia ‡ 8-Oct-02 12-Jun-03 LN 145 of 2003
  7-Jun-17 1-Apr-19 Synthesised Text
South Africa* 16-May-97 12-Nov-97 LN 89 of 1998
  24-Aug-12 17-Dec-13 LN 392 of 2013
Spain ‡ 8-Nov-05 12-Sep-06 LN 234 of 2006
07-Jun-17 01-Jan-22 Synthesised Text
Sweden * 9-Oct-95 3-Feb-96 LN 104 of 1996
Switzerland * 25-Feb-11 6-Jul-12 LN 322 of 2012
  16-Jul-20 03-Nov-21 LN 198 of 2021
Syria 22-Feb-99 16-Oct-00 LN 246 of 2001
Tunisia 3-May-00 31-Dec-01 LN 225 of 2002
Turkey 14-Jul-11 13-Jun-13 LN 160 of 2013
Ukraine ‡ 4-Sep-13 28-Aug-17 LN 345 of 2017
23-Jul-18 01-Dec-19 Synthesised Text
United Arab Emirates ‡ 13-Mar-06 18-May-07 LN 99 of 2009
27-Jun-18 01-Sep19
United Kingdom ‡ 12-May-94 27-Mar-95 LN 105 of 1995
  7-Jun-17 1-Apr-19 Synthesised Text
United States of America 8-Aug-08 23-Nov-10 LN 560 of 2010
Uruguay ‡ 11-Mar-11 13-Dec-12 LN 119 of 2013
07-Jun-17 01-Jun-20
Viet Nam 15-Jul-16 25-Nov-16 LN 286 of 2016
  • Treaties signed but not yet in force:  Belgium, Curaçao
  • Tax Information Exchange Agreements in Force: Bahamas, Bermuda, Cayman Islands, Gibraltar, USA.
  • Tax Information Exchange Agreements – signed but not in force: Macao

For the official list of double tax treaties, refer to the website of  the Commissioner for Revenue's website CfR.

Our International Tax Practice

At Chetcuti Cauchi, our International Tax team advises global businesses and high-net-worth individuals on cross-border tax planning, treaty relief, and structuring strategies. With deep expertise in Malta’s extensive double tax treaty network and OECD-compliant frameworks, we help clients optimise their international tax position while ensuring full compliance. Our tailored solutions include treaty-based planning, unilateral relief mechanisms, and strategic use of Malta’s full imputation system. We are proud to support Malta’s role as a trusted jurisdiction for international tax efficiency.

Copyright © 2026 Chetcuti Cauchi. This document is for informational purposes only and does not constitute legal advice. Professional legal advice should be obtained before taking any action based on the contents of this document. Chetcuti Cauchi disclaims any liability for actions taken based on the information provided. Reproduction of reasonable portions of the content is permitted for non-commercial purposes, provided proper attribution is given and the content is not altered or presented in a false light.

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