Nz Uk Double Tax Agreement

The competent authority shall endeavour, if the objection appears to it to be justified and if it is unable to find a satisfactory solution itself, to resolve the matter by mutual agreement with the competent authority of the other Contracting State with a view to reversing taxes which are not in conformity with the Convention. Tax Treaty Information on the New Zealand tax treaty by the tax administration with the full text of the agreements to download. It is much more common to use the services of a qualified accountant who is experienced in applying for tax relief through double taxation treaties. Fees vary depending on the complexity of a person`s personal circumstances, in almost all cases, tax savings exceed the costs of using an accountant – and they can be sure to pay the right amount of tax with absolute confidence. We have a collection of global double taxation treaties in English (and other languages, if available) to help members ask questions. If you are having trouble finding a contract, please call the application team on +44 (0) 20 7920 8620 or email us at library@icaew.com. States Parties shall assist each other in the recovery of tax claims. Such aid shall not be limited by Articles 1 and 2 of this Convention. The competent authorities of the States Parties may, by mutual agreement, regulate the application of this article. Although relatively common, the application of double taxation treaties and, therefore, the right to tax relief can be a complex issue. Since there are many rules and complications that can arise when applying double taxation treaties, it is important to seek the help of a qualified and experienced accountant. The competent authorities of the States Parties may communicate directly with each other with a view to reaching an agreement within the meaning of the preceding paragraphs. If you are considered to be a tax resident in two or more countries, it is important to understand possible tax relief through double taxation treaties Nothing in this Convention affects the tax privileges of members of diplomatic or permanent representations or consular representations in accordance with the general rules of international law or the provisions of special conventions.

The competent authorities of the States Parties shall endeavour to eliminate by mutual agreement all difficulties or doubts arising in the interpretation or application of the Convention. Since the above proposal is acceptable to the Government of New Zealand, I have the honour to confirm that Your Excellency`s note and this reply are considered to be an agreement between the two Governments on this matter, which will enter into force at the same time as the entry into force of the Protocol. . . .

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