Skip to main content
Taxation and Customs Union

FASTER Initiative

A Council Directive on faster and safer relief of excess withholding taxes

FASTER Initiative

Directive

On 14 May 2024, the Council reached an agreement on the Faster and Safer Tax Relief of Excess Withholding Taxes (FASTER) Directive. The new rules make withholding tax procedures in the EU more efficient and secure for investors, financial intermediaries and national tax administrations.

What did the Commission propose?

Why this proposal?

Currently, in the case of cross-border investments, many EU countries levy withholding taxes on dividends on equity holdings and on the interest on bond holdings paid to investors who live abroad. However, investors also have to pay tax on the same income in their country of residence. 

According to the International Monetary Fund, securities held by non-domestic investors in the EU in 2019 were worth 10.7 trillion dollars. To avoid double taxation, many countries have agreed to share taxing rights between the source and the residence countries by signing double tax treaties. These treaties may entitle non-resident investors to a lower rate of withholding taxes or to an exemption in the country they are levied. 

The problem is that these refund procedures are often lengthy, costly and cumbersome, causing frustration for investors and discouraging cross-border investment within and into the EU. 

Withholding tax procedures applied in each Member State are currently very different. Investors have to deal with more than 450 different forms across the EU, most of which are only available in national languages. The Cum/Ex and Cum/Cum scandals have also shown how refund procedures can be abused: tax losses from these practices have been estimated at €150 billion in 2000-2020.

FAQs

Next steps

The agreed text will go through a legal linguistic check and the Directive will then need to be formally adopted by the Council before being published in the EU’s Official Journal and enter into force. 

Member states will have to transpose the directive into national legislation by 31 December 2028, and national rules will have to become applicable from 1 January 2030.