Background
In May 2023, the Sultanate of Oman and the Arab Republic of Egypt (Egypt) signed the Double Tax Treaty on income and capital (DTT).
While this DTT was ratified by Oman vide Royal Decree RD 43/2023 dated 25 June 2023, it is yet to be ratified by Egypt. In Oman, the DTT will be effective on or after the first day of January of the calendar year in which the ratification instruments are exchanged. For example, if the corresponding ratification and procedural requirements are completed by 31 December 2023, the DTT will be effective from 1 January 2024. The only exception for effective date in Oman is provided with respect to Article 8 (Shipping and Air Transport) which will be effective retrospectively for tax years beginning from or after 1 January 1978.
What are the key provisions of the DTT?
| Applicability |
|
| Nature of income covered |
|
| PE related provisions |
|
| Rates under the DTT for certain types of income |
|
| Alignment with international tax reforms | The Oman-Egypt DTT reflects Oman’s commitment towards implementing Base Erosion Profit Shifting (BEPS) minimum standards and includes:
|