A4 نسخة نهائية للاتفاقية المتعددة الاطراف MLI English REV4B.indd
Art. 12Status unknownSaudi ArabiaRegulation
Issued by Zakat, Tax and Customs Authority (ZATCA)
Artificial Avoidance of Permanent Establishment Status through Commissionnaire
Arrangements and Similar Strategies
1. Notwithstanding the provisions of a Covered Tax Agreement that define the term
“permanent establishment”, but subject to paragraph 2, where a person is acting in a
Contracting Jurisdiction to a Covered Tax Agreement on behalf of an enterprise and, in
doing so, habitually concludes contracts, or habitually plays the principal role leading to the
conclusion of contracts that are routinely concluded without material modification by the
enterprise, and these contracts are:
a) in the name of the enterprise; or
b) for the transfer of the ownership of, or for the granting of the right to use, property
owned by that enterprise or that the enterprise has the right to use; or
c) for the provision of services by that enterprise,
that enterprise shall be deemed to have a permanent establishment in that Contracting
Jurisdiction in respect of any activities which that person undertakes for the enterprise unless
these activities, if they were exercised by the enterprise through a fixed place of business of
that enterprise situated in that Contracting Jurisdiction, would not cause that fixed place
of business to be deemed to constitute a permanent establishment under the definition of
permanent establishment included in the Covered Tax Agreement (as it may be modified by
this Convention).
2. Paragraph 1 shall not apply where the person acting in a Contracting Jurisdiction to a Covered
Tax Agreement on behalf of an enterprise of the other Contracting Jurisdiction carries on
business in the first-mentioned Contracting Jurisdiction as an independent agent and acts
for the enterprise in the ordinary course of that business. Where, however, a person acts
exclusively or almost exclusively on behalf of one or more enterprises to which it is closely
Multilateral Convention to Implement Tax Treaty
JULY 2020
related, that person shall not be considered to be an independent agent within the meaning
of this paragraph with respect to any such enterprise.
3. a) Paragraph 1 shall apply in place of provisions of a Covered Tax Agreement that describe the
conditions under which an enterprise shall be deemed to have a permanent establishment
in a Contracting Jurisdiction (or a person shall be deemed to be a permanent establishment
in a Contracting Jurisdiction) in respect of an activity which a person other than an agent
of an independent status undertakes for the enterprise, but only to the extent that such
provisions address the situation in which such person has, and habitually exercises, in that
Contracting Jurisdiction an authority to conclude contracts in the name of the enterprise.
b) Paragraph 2 shall apply in place of provisions of a Covered Tax Agreement that provide
that an enterprise shall not be deemed to have a permanent establishment in a Contracting
Jurisdiction in respect of an activity which an agent of an independent status undertakes
for the enterprise.
4. A Party may reserve the right for the entirety of this Article not to apply to its Covered Tax
Agreements.
5. Each Party that has not made a reservation described in paragraph 4 shall notify the
Depositary of whether each of its Covered Tax Agreements contains a provision described in
subparagraph a) of paragraph 3, as well as the article and paragraph number of each such
provision. Paragraph 1 shall apply with respect to a provision of a Covered Tax Agreement only
where all Contracting Jurisdictions have made a notification with respect to that provision.
6. Each Party that has not made a reservation described in paragraph 4 shall notify the
Depositary of whether each of its Covered Tax Agreements contains a provision described in
subparagraph b) of paragraph 3, as well as the article and paragraph number of each such
provision. Paragraph 2 shall apply with respect to a provision of a Covered Tax Agreement
only where all Contracting Jurisdictions have made such a notification with respect to that
provision.
The Arabic text is the legally binding version. The English translation is provided for guidance only.
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