| Country | Indonesia |
| Treaty article | |
| Date signed | 29 January 2002 |
| Date entry into force | 01 January 2004 |
Article 10-7:
Where a company which is a resident of one of the two States derives profits or income from the other State, the other State may not impose any tax on the dividends paid by the company to persons who are not residents of that other State, nor subject to the company's undistributed profits to a tax on undistributed profits, even if the dividends paid or the undistributed profits consist wholly or partly of profits or income arising in such other State.
The above is wording of the bilateral treaty between the Netherlands and corresponding country. Please note that the actual wording may deviate from the above wording, this may be due to for example recent amendmends or (pending) treaty negations that have not yet been included in the above wording. Before you use this information, we advise you to contact us to verify the treaty and the specifics of you case. You can reach us via email or office phone number 010-2010466.