Article 13
CAPITAL GAINS
- (1)
- Gains derived by a resident of a Contracting State from the alienation of immovable property referred to in
Article 6 and situated in the other Contracting State or shares in a company the assets of which consist mainly of
such property may be taxed in that other State.
- (2)
- Gains from the alienation of movable property forming part of the business property of a permanent establishment which
an enterprise of a Contracting State has in the other Contracting State or of movable property pertaining to a fixed base
available to a resident of a Contracting State in the other Contracting State for the purpose of performing independent
personal services including such gains from the alienation of such a permanent establishment (alone or with the whole
enterprise) or of such fixed base, may be taxed in that other State.
- (3)
- Gains derived by an enterprise of a Contracting State from the alienation of ships or aircraft operated in
international traffic by that enterprise or movable property pertaining to the operation of such ships or aircraft, shall
be taxable only in that State.
- (4)
- Gains from the alienation of any property other than that referred to in paragraphs 1, 2 and 3, shall be taxable only
in the Contracting State of which the alienator is a resident.
Article 14
INDEPENDENT PERSONAL SERVICES
- (1)
- Income derived by an individual who is a resident of a Contracting State in respect of professional services or other
activities of an independent character shall be taxable only in that State unless he has a fixed base regularly available
to him in the other Contracting State for the purpose of performing his activities. If he has such a fixed base, the income
may be taxed in the other Contracting State but only so much of it as is attributable to that fixed base. For this purpose,
where an individual who is a resident of a Contracting State stays in the other Contracting State for a period or periods
exceeding in the aggregate 183 days in any twelve month period commencing or ending in the fiscal year concerned, he shall
be deemed to have a fixed base regularly available to him in that other State and the income that is derived from his
activities referred to above that are performed in that other State shall be attributable to that fixed base.
- (2)
- The term ``professional services'' includes especially independent scientific, literary, artistic, educational
or teaching activities as well as the independent activities of physicians, lawyers, engineers, architects, dentists and
accountants.
Article 15
DEPENDENT PERSONAL SERVICES
- (1)
- Subject to the provisions of Articles 16, 18 and 19, salaries, wages and other similar remuneration derived by a
resident of a Contracting State in respect of an employment shall be taxable only in that State unless the employment is
exercised in the other Contracting State. If the employment is so exercised, such remuneration as is derived therefrom may
be taxed in that other State.
- (2)
-
Notwithstanding the provisions of paragraph 1, remuneration derived by a resident of a Contracting State in respect
of an employment exercised in the other Contracting State shall be taxable only in the first--mentioned State if:
- (a)
- the recipient is present in the other State for a period or periods not exceeding in the aggregate 183 days in any
twelve month period commencing or ending in the fiscal year concerned, and
- (b)
- the remuneration is paid by, or on behalf of, an employer who is not a resident of the other State, and
- (c)
- the remuneration is not borne by a permanent establishment or a fixed base which the employer has in the other
State.
- (3)
- Notwithstanding the preceding provisions of this Article, remuneration derived in respect of an employment exercised
aboard a ship or aircraft operated in international traffic by an enterprise of a Contracting State, may be taxed in that
State.
Article 16
DIRECTORS FEES
Directors fees and other similar payments derived by a resident of a Contracting State in his capacity as a member of the
board of directors or any other similar organ of a company which is a resident of the other Contracting State may be taxed in
that other State.
Last modified: 2002-08-07