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Canada - France tax treaty

A practical treaty page built around the official treaty text, key withholding categories, permanent-establishment rules, and article-level summaries.

Signed

1975-05-02

Effective

1976-07-29

Articles seeded

6

Withholding snapshot

Dividends

Individual rate: 15% · Corporate rate: 5%

The lower 5 percent corporate rate generally depends on direct-ownership thresholds under the treaty as amended by protocol.

Interest

Rate: 10%

The 10 percent ceiling can be reduced or eliminated for qualifying government and central-bank interest under the article as amended.

Royalties

Rate: 10%

Royalties generally face a 10 percent ceiling. Certain copyright and computer-software categories may face different rates under the article.

Permanent establishment

Construction threshold: more than 12 months

Dependent-agent analysis follows the treaty wording as amended by protocol.

Other treaty flags

Pensions: split
Protocols: 1987-01-16, 1995-11-30, 2010-02-02
Exchange of information: Yes
Student article: Yes
Teacher article: No

Pension treatment is article-specific. The treaty includes detailed pension provisions.

Seeded article summaries

Article 4

Residence

Defines treaty residence under the 1975 wording as amended by protocols.

Article 4 has been refined by multiple protocols. The 2010 protocol updated certain residence and anti-abuse provisions.

Article 5

Permanent Establishment

Sets the business-presence threshold with a 12-month construction rule.

The treaty uses the standard 12-month construction threshold as amended by protocol.

Article 7

Business Profits

Generally reserves business profits to the residence state in the absence of a PE.

Article 7 has been refined by protocol to align with OECD-aligned profit-attribution principles.

Article 10

Dividends

Caps source-country dividend withholding at treaty ceilings.

Article 10 produces the 15 percent and 5 percent treaty ceilings as amended.

Article 11

Interest

Limits source-country withholding on qualifying interest.

Article 11 produces a 10 percent ceiling with zero treatment for qualifying government and central-bank interest.

Article 12

Royalties

Caps royalties at treaty ceilings that vary with category.

Article 12 generally limits royalties to 10 percent with category-specific differences.

Official text

Other treaties involving these jurisdictions

Computed from the cross-reference graph. Links open the related entity on this site.

Primary sources

Important disclaimer

This library is for general tax education only. Always verify filing obligations, due dates, and tax consequences against the cited primary source or with a qualified tax professional.