CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED STATES
OF AMERICA AND THE GOVERNMENT OF THE FRENCH REPUBLIC FOR THE
AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL
EVASION WITH RESPECT TO
颁布时间:1994-08-31
GENERAL EFFECTIVE DATE UNDER ARTICLE 33: 1 JANUARY 1996
TABLE OF ARTICLES
Article 1---------------------------------Personal Scope
Article 2---------------------------------Taxes Covered
Article 3---------------------------------General Definitions
Article 4---------------------------------Resident
Article 5---------------------------------Permanent Establishment
Article 6---------------------------------Income From Real Property
Article 7---------------------------------Business Profits
Article 8---------------------------------Shipping and Air Transport
Article 9---------------------------------Associated Enterprises
Article 10--------------------------------Dividends
Article 11--------------------------------Interest
Article 12--------------------------------Royalties
Article 13--------------------------------Capital Gains
Article 14--------------------------------Independent Personal Services
Article 15--------------------------------Dependent Personal Services
Article 16--------------------------------Directors' Fees
Article 17--------------------------------Artistes and Sportsmen
Article 18--------------------------------Pensions
Article 19--------------------------------Public Remuneration
Article 20--------------------------------Teachers and Researchers
Article 21--------------------------------Students and Trainees
Article 22--------------------------------Other Income
Article 23--------------------------------Capital
Article 24--------------------------------Relief From Double Taxation
Article 25--------------------------------Non-Discrimination
Article 26--------------------------------Mutual Agreement Procedure
Article 27--------------------------------Exchange of Information
Article 28--------------------------------Assistance in Collection
Article 29--------------------------------Miscellaneous Provisions
Article 30--------------------------------Limitation on Benefits of the
Convention
Article 31--------------------------------Diplomatic and Consular Officers
Article 32--------------------------------Provisions for Implementation
Article 33--------------------------------Entry Into Force
Article 34--------------------------------Termination
Letter of Submittal---------------------of 9 September, 1994
Letter of Transmittal-------------------of 19 September, 1994
Notes of Exchange---------------------of 31 August, 1994
The "Saving Clause"-------------------Paragraph 2 of Article 29
MESSAGE
FROM
THE PRESIDENT OF THE UNITED STATES
TRANSMITTING
CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED STATES OF AMERICA
AND THE GOVERNMENT OF THE FRENCH REPUBLIC FOR THE AVOIDANCE OF
DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT
TO TAXES ON INCOME AND CAPITAL SIGNED AT PARIS ON AUGUST 31,1994,
TOGETHER WITH TWO RELATED EXCHANGES OF NOTES
LETTER OF SUBMITTAL
DEPARTMENT OF STATE,
Washington, September 9, 1994.
The PRESIDENT,
The White House.
THE PRESIDENT: I have the honor to submit to you, with a view to its
transmission to the Senate for advice and consent to ratification, the
Convention Between the Government of the United States of America and the
Government of the French Republic for the Avoidance of Double Taxation and
the Prevention of Fiscal Evasion with Respect to Taxes on Income and
Capital, signed at Paris on August 31, 1994, together with two related
exchanges of notes signed on the same date.
The new Convention will replace the existing income tax convention
between the United States and France, which was signed in 1967 and amended
by Protocols signed in 1970, 1978, 1984, and 1988, and the side letters
relating thereto. The new Convention maintains many provisions of the
existing convention; but it also provides certain additional benefits, and
it updates the text to reflect current tax treaty policies.
Like all U.S. income tax conventions, this Convention provides rules
specifying when income that arises in one of the countries and is derived
by residents of the other country may be taxed by the country in which the
income arises (the "source country"). Rules are provided for each category
of income, such as business profits, investment income, and personal
service income. The Convention confirms that the country of residence will
avoid international double taxation by providing relief for the tax
imposed by the source country. It also provides for administrative
cooperation between the tax authorities of the two countries in applying
the Convention and the taxes covered by the Convention. The benefits of
the Convention are limited to qualified residents of the two countries.
The new Convention confirms that residents of each country include
tax-exempt organizations created for charitable and other not-for-profit
purposes or for purposes of providing pension benefits, and extends to
them part of the dividend tax credit that France provides in the
Convention to other U.S. portfolio investors. It also addresses the
treatment of dividends paid by regulated investment companies and real
estate investment trusts, bringing those provisions into line with current
U.S. treaty policy. The new Convention clarifies the scope of the
exemption at source of copyright royalties.
An important improvement in the new Convention is the modernization of
the limitation on benefits provisions, designed to ensure that the
benefits of the Convention are enjoyed only by those persons intended to
derive such benefits. The compliance aspects of the Convention are also
strengthened by bringing up to date the provisions concerning associated
enterprises and the exchange of tax information.
The new Convention preserves the special French tax benefits for U.S.
citizens residing in France and for French residents who are partners of
U.S. partnerships.
The exchanges of diplomatic notes accompany the Convention and state
the understandings of the two delegations with respect to the application
of the Convention in specified cases.
The United States and France will notify each other when their
respective constitutional and statutory requirements for the entry into
force of the Convention have been satisfied. The Convention will enter
into force on the date of receipt of the later of those notifications. The
provisions concerning taxes on dividends, interests, and royalties and
the U.S. excise tax on insurance premiums paid to foreign insurers will
take effect on the first day of the second month following the entry into
force. The provisions concerning other taxes generally will take effect
for taxable years or taxable events occurring on or after January 1 of the
year following the entry into force. However, certain provisions
concerning the availability of the French dividend tax credit and the
application of the copyright royalty exemption will apply for dividends
and royalties paid or credited on or after January 1, 1991. The 1967
convention and the related exchanges of letters will cease to have effect
as of the date on which the provisions of this Convention become
effective.
A technical memorandum explaining in detail the provisions of the
Convention will be prepared by the Department of Treasury and will be
submitted separately to the Senate Committee on Foreign Relations.
The Department of the Treasury and the Department of State cooperated
in the negotiation of the convention. It has the full approval of both
Departments.
Respectfully submitted,
WARREN CHRISTOPHER.
LETTER OF TRANSMITTAL
THE WHITE HOUSE, September 19, 1994.
To the Senate of the United States:
I transmit herewith for Senate advice and consent to ratification the
Convention Between the Government of the United States of America and the
Government of the French Republic for the Avoidance of Double Taxation and
the Prevention of Fiscal Evasion with Respect to Taxes on Income and
Capital, signed at Paris on August 31, 1994, together with two related
exchanges of notes. Also transmitted for the information of the Senate is
the report of the Department of State with respect to the Convention.
The Convention replaces the 1967 income tax convention between the
United States of America and the French Republic and the related protocols
and exchanges of notes. The new Convention more accurately reflects
current income tax treaty policies of the two countries.
I recommend that the Senate give early and favorable consideration to
the Convention and related exchanges of notes and give its advice and
consent to ratification.
WILLIAM J. CLINTON.