Country of the beneficial owner Effective Date* Treaty withholding rateon dividends Treaty withholding rateon interest** Specific LOB Article in the treaty included? Armenia*** 01.01.1976 30.0% 0.0% n.a. Australia 01.12.1983 15.0% 10.0% Article 16 /...Double Tax Treaty • January 23rd, 2024
Contract Type FiledJanuary 23rd, 2024* This is the effective date when the latest income tax treaty with the U.S. became effective with respect to withholding taxes.
Status as of 30 June 2023Double Tax Treaty • July 19th, 2023
Contract Type FiledJuly 19th, 2023** Please note that on most US interest payments the portfolio interest exemption applies. In these cases the withholding tax on interest payments is reduced to 0%.
Country of the beneficial owner Effective Date* Treaty withholding rateon dividends Treaty withholding rateon interest** Specific LOB Article in the treaty included? Armenia*** 01.01.1976 30.0% 0.0% n.a. Australia 01.12.1983 15.0% 10.0% Article 16 /...Double Tax Treaty • October 24th, 2022
Contract Type FiledOctober 24th, 2022** Please note that on most US interest payments the portfolio interest exemption applies. In these cases the withholding tax on interest payments is reduced to 0%.
Country of the beneficial owner Effective Date* Treaty withholding rateon dividends Treaty withholding rateon interest** Specific LOB Article in the treaty included? Armenia*** 01.01.1976 30.0% 0.0% n.a. Australia 01.12.1983 15.0% 10.0% Article 16 /...Double Tax Treaty • July 15th, 2022
Contract Type FiledJuly 15th, 2022** Please note that on most US interest payments the portfolio interest exemption applies. In these cases the withholding tax on interest payments is reduced to 0%.
Country of the beneficial owner Effective Date* Treaty withholding rateon dividends Treaty withholding rateon interest** Specific LOB Article in the treaty included? Armenia*** 01.01.1976 30.0% 0.0% n.a. Australia 01.12.1983 15.0% 10.0% Article 16 /...Double Tax Treaty • April 20th, 2022
Contract Type FiledApril 20th, 2022** Please note that on most US interest payments the portfolio interest exemption applies. In these cases the withholding tax on interest payments is reduced to 0%.
Country of the beneficial owner Effective Date* Treaty withholding rateon dividends Treaty withholding rateon interest** Specific LOB Article in the treaty included? Armenia*** 01.01.1976 30.0% 0.0% n.a. Australia 01.12.1983 15.0% 10.0% Article 16 /...Double Tax Treaty • April 30th, 2020
Contract Type FiledApril 30th, 2020** Please note that on most US interest payments the portfolio interest exemption applies. In these cases the withholding tax on interest payments is reduced to 0%.