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China – Philippines

Double-tax treaty

Treaty overview

In force

Withholding rates

This treaty's reduced withholding rates are not published in our source set. The statutory rates below apply unless the treaty text provides a reduction.

Payment type Treaty rate Statutory (China) Statutory (Philippines)
Dividends 10% 25%
Interest 10% 20%
Royalties 10% 25%

Statutory rates for context

Full tax profiles for each jurisdiction, independent of this treaty.

Dimension China Philippines
Corporate income tax 25% 25%
WHT -- dividends 10% 25%
WHT -- interest 10% 20%
WHT -- royalties 10% 25%
VAT / GST 13% 12%
Personal income (top) 45% 35%
Capital gains n/a n/a
Pillar 2 status none proposed

Source: State Taxation Administration of the People’s Republic of China (as of 2026-05-30)