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Consultation on Simplifying Treaty Relief from Withholding Tax on Interest Paid Overseas

Summary

We welcome views on simplification of the process to obtain treaty relief in relation to withholding tax obligations when making payments of interest overseas.

This consultation closes at

Consultation description

This consultation details the current processes for obtaining treaty relief available under the UK’s network of Double Taxation Agreements in relation to the obligation to withhold amounts representing income tax from payments of interest overseas.

The intention is to identify options to meaningfully simplify the administration of the available relief, to make things simpler for taxpayers whilst maintaining robust safeguards against tax avoidance.

This will be of particular interest to those who are regularly involved in cross-border financing, or who have experience of the existing processes of seeking treaty relief from HMRC through existing processes (such as Double Taxation Treaty Passport, Directions to make payments at the treaty rate, claims for relief).

Documents

Ways to respond

Email to:

simplifyingtreatyreliefconsultation@hmrc.gov.uk

Write to:

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Base Protection Policy Team
HM Revenue and Customs
Floor 7, 1 Atlantic Square
Glasgow
G2 8HS
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Updates to this page

Published 13 July 2026

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