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Maximum amounts of creditable tax based on a tax treaty, when interest income is received from abroad

Note: Always check the tax treaty for exceptions. 

Maximum amounts of creditable tax based on a tax treaty, when interest income is received from abroad

Contracting state from which interest was received Maximum amount (%) of creditable tax Notes
Netherlands 0 -
Albania 5 Tax treaty applied from 1 January 2024
United States of America 0 -
United Arab Emirates 0 -
Argentina 15 -
Armenia 5 -
Australia 10 -
Azerbaijan 10 -
Barbados 5 -
Belgium 10 -
Bosnia-Herzegovina 0 -
Brazil No maximum amount -
Bulgaria 0 -
Egypt 15 -
Spain 0 -
South Africa 0 -
Philippines 15 -
Georgia 0 -
Hong Kong 0 Tax treaty applied from 1 January 2019
Indonesia 10 -
India 10 -
Ireland 0 -
Iceland 0 -
United Kingdom 0 -
Israel 10 -
Italy 15 -
Austria 0 -
Japan 10 -
Canada 10 -
Kazakhstan 10 -
China 10 -
Kyrgystan 15 -
Republic of Korea 10 -
Kosovo 0 -
Greece 10 -
Cyprus 0 -
Croatia 0 -
Latvia 0 -
Lithuania 10 -
Luxembourg 0 -
Macedonia 10 -
Malaysia 15 -
Malta 0 -
Morocco 10 -
Mexico 10 -
Moldova 5 -
Montenegro 0 -
Norway 0 -
Pakistan 15 -
Portugal - As of 1 January 2019 there is no tax treaty between Finland and Portugal.
Poland 5 -
France 10 -
Romania 5 -
Sweden 0 -
Germany 0 -
Zambia 15 -
Serbia 0 -
Singapore 5 -
Slovakia 0 -
Slovenia 5 -
Sri Lanka 10 Applied from 1 January 2019 (new tax treaty)
Switzerland 0 -
Tajikistan 10 -
Tanzania 15 -
Denmark 0 -
Thailand No maximum amount -
Czech Republic 0 -
Turkey 15 -
Turkmenistan 10 Tax treaty applied from 1 January 2018
Ukraine 0 -
Hungary 0 -
Uruguay 10 -
New Zealand 10 -
Uzbekistan 5 -
Belarus 5 -
Russia 0 -
Vietnam 10 -
Estonia 10 -
Page last updated 2/21/2022