Suriname
South America · SR · 1 treaties
Tax profile
| Corporate income tax | 36% |
| Withholding — dividends | 25% |
| Withholding — interest | 0% |
| Withholding — royalties | 0% |
| VAT / GST (standard) | 10% |
| Personal income (top rate) | 0% |
| Capital gains | n/a |
| Tax system | Worldwide |
| Residency threshold | — |
| Exit / departure tax | No |
| CFC rules | No |
| Transfer pricing | None |
| Digital nomad visa | No |
| Digital services tax | none |
| Global minimum tax (Pillar 2) | None |
Tax residency
Easy to leaveWhat makes you a tax resident — and how hard it is to stop being one.
- centre of personal economic interests located in Suriname (facts and circumstances such as workplace and place where the family lives)
Tax residency is based on where an individual’s personal economic interests are centred; in practice, ceasing to be resident generally just requires shifting work, family and other economic ties outside Suriname, with no explicit multi‑year tail or deemed‑domicile rules.
Source: Ministry of Finance and Planning / Suriname Tax Administration
Tax treaty network (1)
In-force double-tax treaty partners. Treaty-reduced withholding (dividends / interest / royalties) shown where the official source publishes a rate; otherwise the country's statutory rate applies unless the treaty text provides a reduction.
| Partner | Div | Int | Roy |
|---|---|---|---|
| Netherlands | — | — | — |