Second Protocol to the Agreement between New Zealand and the Republic of Austria with respect to Taxes on Income and on Capital, done at Vienna on 21st September 2006

Print Page

Treaty Code:

B2023-10

Treaty Type:

Bilateral/Plurilateral

Common Name:

Austria DTA

Responsible Department:

Foreign Affairs and Trade

Administering Department:

Treaty Status:

In Force

Treaty Summary:

New Zealand has an existing Double Tax Agreement (DTA) with Austria, signed in 2006. 

The DTA includes a most favoured nation (MFN) clause, which obliged New Zealand to re-enter negotiations with Austria if we agreed to a withholding tax rate on dividends of less than 15 percent with another OECD member country. The MFN clause was triggered in 2010, when New Zealand's DTAs with the United States and Australia came into.

NZ Adherence Status:

In Force

Adherence Type:

Signature Date:

12/09/2023

Adherence Date:

29/08/2024

Expired:

No

Date Concluded:

12/09/2023

Place Concluded:

Vienna

Entry Into Force Date:

29/08/2024

NZ Entry Into Force Date:

29/08/2024

Termination Date:

Withdrawal Date:

Withdrawal Notification Date:

NZ Objections:

No

NZ Reservations:

No

NZ Declarations:

No

NZ Territorial Applications:

None

NZTS Number:

UNTS Number:

Associated Treaties:

Other References:

Treaty Text Link:

Parties:

Austria

Adherence Type:

Adherence Date:

Signature Date:

12/09/2023

Entry Into Force:

29/08/2024

Contact Information:

If you would like more information about this Treaty please contact us using our contact form.