Botswana & Malta Double Tax Treaty

A double tax treaty between Malta and the Republic of Botswana was signed on 2 October 2017 and entered into force on 13 November 2018.

Botswana-Malta Double Tax Treaty

Botswana Withholding Taxes

The main features of the Malta Botswana tax treaty are as follows:

Dividend Income

The double tax treaty between Malta and Botswana sets out a maximum withholding tax of 5 per cent on a payment of dividends from a company in Botswana to a shareholder resident in Malta, who is the beneficial owner thereof and holds at least 25 per cent of the capital of the company paying the dividend. In all other cases, the maximum withholding tax is 6 per cent.

No withholding tax is charged on dividends paid by a company in Malta to a shareholder resident in Botswana (as a result of domestic law provisions).

Interest Income

The double tax treaty between Malta and Botswana sets out a maximum withholding tax of 8.5 per cent on interest paid to the beneficial owner thereof.

No withholding tax is charged on interest paid by a Malta resident person to a person resident in Botswana (as a result of domestic law provisions).

Royalty Income

The double tax treaty between Malta and Botswana sets out a maximum withholding tax of 5 per cent on royalties paid to the beneficial owner thereof for the use of or the right to use industrial, commercial or scientific equipment. In all other cases, the maximum withholding tax is 7.5 per cent.

No withholding tax is charged on royalties paid by a Malta resident person to a person resident in Botswana (as a result of domestic law provisions).

Elimination of double taxation

Double taxation is eliminated by the allowance of a credit for any tax suffered in the source country against the tax liability for that income in the residence country.

Artistes and Sportsmen

Income derived by a person from entertainment or sports may be taxed in the state where the activities are exercised.

Pensions

Pensions and similar remuneration in consideration of past employment and any annuity may be taxed in the country of source.

Other income

Income not specifically dealt with in the Malta Botswana double tax treaty shall be taxable in the country of residence only.

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When navigating tax matters from Malta to Botswana and from Botswana to Malta, it’s essential to understand how the Double Tax Treaty between the two countries impacts taxation on income, capital gains, and other financial obligations. This treaty ensures that individuals and businesses benefit from reduced tax liabilities and avoid the risk of double taxation. By leveraging this agreement, both residents and companies can optimise their tax position when operating or investing across Malta to Botswana or Botswana to Malta.

Please contact us should you require any more information on the Malta Botswana Double Tax Treaty and the unique tax planning opportunities. You can email us enquiries@papilioservices.com or call us directly on +356 2258 2000.

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