Withholding Taxes

Certain types of income originating from Bulgaria and payable to foreign entities (if not realised through a permanent establishment) or individuals are subject to a 10% withholding tax. The types of income are defined in CITA as:

Capital gains from transactions with shares in public companies and tradable rights in such shares realised on a regulated Bulgarian stock market are not subject to withholding tax.

Withholding tax rates under double tax treaties between Bulgaria and the countries listed below:
country dividends % interest % royalties %
Albania (note 3, 6, 9) 5/15 10/0 10
Armenia (note 1, 6) 5/15 10/0 10
Austria (note 12) 0 0 0
Belarus (note 6) 10 10/0 10
Belgium (note 6) 10 10/0 5
Canada (note 9, 16) 10/15 10 10
China (note 2, 6, 9) 10 10/0 7/10
Croatia 5 5 0
Cyprus (note 3, 9) 5/10 7 10
Czech Republic (note 9, 11) 10 10/0 10
Denmark (note 3) 5/15 0 0
Finland (note 4, 9, 12) 10 0 0/5
France (note 5) 5/15 0 5
Georgia (note 6) 10 10/0 10
Germany 15 0 5
Greece 10 10 10
Hungary (note 6) 10 10/0 10
India (note 6) 15 15/0 15/20
Indonesia (note 6) 15 10/0 10
Notes:

Under some double taxation treaties technical service payments fall within the definition of royalty payments and are taxed accordingly.