A4 نسخة نهائية للاتفاقية المتعددة الاطراف MLI English REV4B.indd
Art. 10Status unknownSaudi ArabiaRegulation
Issued by Zakat, Tax and Customs Authority (ZATCA)
Anti-abuse Rule for Permanent Establishments Situated in Third Jurisdictions
1. Where:
a) an enterprise of a Contracting Jurisdiction to a Covered Tax Agreement derives income
from the other Contracting Jurisdiction and the first-mentioned Contracting Jurisdiction
treats such income as attributable to a permanent establishment of the enterprise situated
in a third jurisdiction; and
b) the profits attributable to that permanent establishment are exempt from tax in the
first-mentioned Contracting Jurisdiction, the benefits of the Covered Tax Agreement
shall not apply to any item of income on which the tax in the third jurisdiction is less
than 60 per cent of the tax that would be imposed in the first-mentioned Contracting
Jurisdiction on that item of income if that permanent establishment were situated in
the first-mentioned Contracting Jurisdiction. In such a case, any income to which the
provisions of this paragraph apply shall remain taxable according to the domestic law of
the other Contracting Jurisdiction, notwithstanding any other provisions of the Covered
Tax Agreement.
2. Paragraph 1 shall not apply if the income derived from the other Contracting Jurisdiction
described in paragraph 1 is derived in connection with or is incidental to the active conduct
of a business carried on through the permanent establishment (other than the business of
making, managing or simply holding investments for the enterprise’s own account, unless
these activities are banking, insurance or securities activities carried on by a bank, insurance
enterprise or registered securities dealer, respectively).
3. If benefits under a Covered Tax Agreement are denied pursuant to paragraph 1 with respect
to an item of income derived by a resident of a Contracting Jurisdiction, the competent
authority of the other Contracting Jurisdiction may, nevertheless, grant these benefits with
respect to that item of income if, in response to a request by such resident, such competent
authority determines that granting such benefits is justified in light of the reasons such
resident did not satisfy the requirements of paragraphs 1 and 2. The competent authority of
the Contracting Jurisdiction to which a request has been made under the preceding sentence
by a resident of the other Contracting Jurisdiction shall consult with the competent authority
Multilateral Convention to Implement Tax Treaty
JULY 2020
of that other Contracting Jurisdiction before either granting or denying the request.
4. Paragraphs 1 through 3 shall apply in place of or in the absence of provisions of a Covered Tax
Agreement that deny or limit benefits that would otherwise be granted to an enterprise of
a Contracting Jurisdiction which derives income from the other Contracting Jurisdiction that
is attributable to a permanent establishment of the enterprise situated in a third jurisdiction.
5. A Party may reserve the right:
a) for the entirety of this Article not to apply to its Covered Tax Agreements;
b) for the entirety of this Article not to apply to its Covered Tax Agreements that already
contain the provisions described in paragraph 4;
c) for this Article to apply only to its Covered Tax Agreements that already contain the
provisions described in paragraph 4.
6. Each Party that has not made the reservation described in subparagraph a) or b) of paragraph
5 shall notify the Depositary of whether each of its Covered Tax Agreements contains a
provision described in paragraph 4, and if so, the article and paragraph number of each such
provision.
Where all Contracting Jurisdictions have made such a notification with respect to a provision
of a Covered Tax Agreement, that provision shall be replaced by the provisions of paragraphs
1 through 3. In other cases, paragraphs 1 through 3 shall supersede the provisions of the
Covered Tax Agreement only to the extent that those provisions are incompatible with those
paragraphs.
The Arabic text is the legally binding version. The English translation is provided for guidance only.
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