Poland (tax/treaty)
Art. 25Status unknownSaudi ArabiaRegulation
Issued by General Secretariat of Zakat/Tax/Customs Committees (gstc.gov.sa)
Exchange of Information
The competent authorities of the Contracting States shall exchange such information
as is foreseeable relevant for carrying out the provisions of this Convention or of the
domestic laws of the Contracting States concerning taxes covered by this Convention
insofar as the taxation thereunder is not contrary to this Convention. The exchange of
information is not restricted by Article 1 of this Convention. Any information received
by a Contracting State shall be treated as confidential in the same manner as
information obtained under the domestic laws of that State and shall be disclosed only
to persons or authorities (including courts and administrative bodies) concerned with
the assessment or collection of, the enforcement or prosecution in respect of, or the
determination of appeals in relation to, the taxes covered by this Convention. Such
persons or authorities shall use the information only for such purposes. They may
disclose the information in public court proceedings or in judicial decisions.
In no case shall the provisions of paragraph 1 of this Article be construed so as to
impose on a Contracting State the obligation:
(a)
To carry out administrative measures at variance with the laws and
administrative practice of that or of the other Contracting State;
(b)
To supply information which is not obtainable under the laws or in the normal
course of the administration of that or of the other Contracting State;
(c)
To supply information which would disclose any trade, business, industrial,
commercial or professional secret or trade process, or information, the
disclosure of which would be contrary to public policy.
If information is requested by a Contracting State in accordance with this Article, the
other Contracting State shall use its information gathering measures to obtain the
requested information, even though that other State may not need such information
for its own tax purposes. The obligation contained in the preceding sentence is subject
to the limitation of paragraph 2 of this Article but in no case shall such limitations be
construed to permit a Contracting State to decline to supply information solely because
it has no domestic interest in such information.
In no case shall the provisions of paragraph 2 of this Article be construed to permit a
Contracting State to decline to supply information solely because the information is
held by a bank, other financial institution, nominee or person acting in an agency or a
fiduciary capacity or because it relates to ownership interests in a person.
The Arabic text is the legally binding version. The English translation is provided for guidance only.
Freshness not yet recorded