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Austria – Netherlands Tax Treaty

The Austria-Netherlands tax treaty caps withholding on dividends at 15% for portfolio investors and 5% for qualifying direct investment, with interest payments fully exempt at 0%. Royalty rates vary by category, from 0% on copyright to 10% on film and television. Private pensions are taxable only in the country of residence, with no withholding at source. This is one of 36 active treaties in Austria's network and one of 49 in Netherlands's. The general dividend rate of 15% compares to a median of 15% across Austria's network and 15% across Netherlands's.

Verified data

Bundesministerium fur Finanzen Austria (bmf.gv.at) - Doppelbesteuerungsabkommen (Treaty list verified April 2026. Rates from individual treaty texts (Articles 10-12). Statutory dividend WHT is 27.5% KESt; 28% used as rounded figure.)

Withholding Rate Summary

Source: Austria Treaty Reference
Income TypeTreaty RateStatutory Rate (Austria)
Dividends (general)

Portfolio investors

15%saves 13%28%
Dividends (qualified)

Beneficial owner is a company holding >= 10% of voting stock

5%saves 23%28%
Interest

Bank interest, bonds, loans

0%0%
Royalties (avg)

Patents, copyright, know-how, film/TV

2.5%β€”
Pensions

Private pension distributions

0%β€”
Social Security

Government social security benefits

0%β€”

β€œTreaty Rate” is the maximum withholding permitted under this treaty. The actual effective rate may be lower if domestic law provides a more favorable rate independently. β€œStatutory Rate (Austria)” shows the rate that applies when no treaty benefit is claimed. Qualified dividend rate requires: Beneficial owner is a company holding >= 10% of voting stock.

Dividends
General Rate15%saves 13% vs statutory
Qualified Rate5%saves 23% vs statutory
Statutory Rate28%without treaty

The general dividend rate of 15% applies to portfolio investors. A reduced rate of 5% is available when beneficial owner is a company holding >= 10% of voting stock. Without the treaty, the statutory withholding rate on dividends is 28%.

Source: Austria Treaty Reference

Interest
Treaty Rate0%treaty rate
Statutory Rate0%without treaty

Interest payments (bank interest, bonds, loans) are subject to 0% withholding under this treaty, compared to the 0% statutory rate. Interest is fully exempt from source-country withholding under this treaty.

Source: Austria Treaty Reference

Royalties
Know-how0%
Patents0%
Film & TV10%
Copyright0%

Royalty withholding rates vary by the type of intellectual property. This treaty distinguishes 4 categories, with rates ranging from 0% to 10%.

Source: Austria Treaty Reference

Pensions & Social Security
Pensions0%exempt at source
Social Security0%exempt at source

Private pension distributions are taxable only in the country of residence, with no withholding at source. Government social security benefits are exempt from source-country withholding.

Source: Austria Treaty Reference

Comparative Context

πŸ‡¦πŸ‡ΉAustria's Network

Among Austria's 36 active treaty partners, the 15% general dividend rate ranks 24th (median: 15%).

PartnerRate
Italy15%
South Korea15%
Luxembourg15%
Netherlands (this treaty)15%
New Zealand15%
Pakistan15%
Poland15%

πŸ‡³πŸ‡±Netherlands's Network

Among Netherlands's 49 active treaty partners, the 15% general dividend rate ranks 13th (median: 15%).

PartnerRate
Saudi Arabia10%
Slovak Republic10%
South Africa10%
Austria (this treaty)15%
Australia15%
Belgium15%
Canada15%

Frequently Asked Questions

What is the dividend withholding rate under the Austria-Netherlands tax treaty?
The general dividend withholding rate is 15%. A reduced rate of 5% applies when beneficial owner is a company holding >= 10% of voting stock. Without the treaty, the statutory rate is 28%. Source: Austria Treaty Reference.
What is the interest withholding rate between Austria and Netherlands?
The treaty rate on interest is 0%, compared to the 0% statutory rate. Source: Austria Treaty Reference.
How are pensions taxed under the Austria-Netherlands treaty?
The treaty withholding rate on pensions is 0%. Source: Austria Treaty Reference.

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