| DTA AGREEMENT RATIFIED (IN FORCE) | DATE OF ENTRY INTO FORCE |
| Double Taxation Agreement with China | 17th January 2000 |
| Double Taxation Agreement with Oman | 20th January 2004 |
| Double Taxation Agreement with South Africa | 3rd July 2002 |
| Double Taxation Agreement with Indonesia | 16th May 2000 |
| Double Taxation Agreement with Malaysia | 10th July 206 |
| Double Taxation Agreement with Botswana | 22nd June 2005 |
| Double Taxation Agreement with Thailand | 14th April 2006 |
| Double Taxation Agreement with Mauritius | 22nd June 2005 |
| Double Taxation Agreement with Vietnam | 7th July 2006 |
| Double Taxation Agreement with Cyprus | 2nd November 2006 |
| Double Taxation Agreement with U.A.E | 23rd April 2007 |
| DTA AGREEMENT SIGNED (NOT RATIFIED) | SIGNED ON |
| Double Taxation Agreement with Zimbabwe | 6th August 2002 |
| Double Taxation Agreement with Belgium | 27th April 2006 |
| Double Taxation Agreement with Qatar | 1st July 2006 |
| Dividents | Interest | Royalties | |
| Indonesia | 10% | 10% | 10% |
| Malaysia | 10% | 10% | 10% |
| Botswana | 5%(10%)[1] | 7.5% | 10% |
| Thailand | 10% | 10%(15%)[2] | 15% |
| South Africa | domestic rate | domestic rate | domestic rate |
| Mauritius | domestic rate | domestic rate | domestic rate |
| Oman | 5% | 5% | 10% |
| China | 5% | 10% | 10% |
| Cyprus | 0% | 0% | 5% |
| UAE | 0% | 0% | 5% |
| Vietnam | 10% | 10% | 10% |
| Barbados | 5% | 5% | 5 |
[1] 5% of gross amount if the Beneficial Owner is a Company which holds at least 25% of the Capital of the company paying Dividends or 10% of gross amount of Dividends in all other cases
[2] Not exceeding 10% of gross amount if it is received by any financial institution. Not exceeding 15% of gross amount interest in other cases.


