AGREEMENT BETWEEN THE REPUBLIC OF RWANDA AND THE REPUBLIC OF MAURITIUS FOR THE AVOIDANCE OF DOUBLE TAXATION AND PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME — Rwanda law | Esheria

AGREEMENT BETWEEN THE REPUBLIC OF RWANDA AND THE REPUBLIC OF MAURITIUS FOR THE AVOIDANCE OF DOUBLE TAXATION AND PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME

This article ratifies the Agreement and says it becomes fully effective. It also states that the Agreement applies to residents of one or both Contracting States.

AI-assisted research synopsis — verify against the official legal text below.

Jurisdiction
Rwanda
Instrument
Act or statute
Status
In force
Version
Undated source snapshot
Language
mul
Updated
Official source
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air transport application period artist and sportsperson income associated enterprises business profits capital gains competent authority consular officers corporate tax cross-border business presence cross-border employment income taxation cross-border payments cross-border taxation diplomatic agents directors' fees dividends double taxation double taxation relief enterprise profits entry into force fiscal privileges fraud exception immovable property income income tax +34 more

Statute overview

About this statute

This article ratifies the Agreement and says it becomes fully effective. It also states that the Agreement applies to residents of one or both Contracting States. The Prime Minister, the Minister of Finance and Economic Planning, and the Minister of Foreign Affairs and Cooperation are responsible for implementing this Order. This Order takes effect on the day it is published in the Official Gazette of the Republic of Rwanda. This article defines who counts as a resident of a contracting state for tax purposes and sets tie-breaker rules for dual residence. Article 5 defines when an enterprise has a permanent establishment and lists several exclusions.