Standards of Withholding Rates for Various Incomes
1.中華民國六十二年十二月三十一日行政院(62)台財字第 10591 號令
核定
2.中華民國六十三年十二月三十日行政院(63)台財字第 9600 號函核定
修正
3.中華民國六十四年十二月三十日行政院(64)台財字第 9757 號令修正
發布;並自六十五年一月一日起施行
4.中華民國六十六年一月三十日行政院(66)台財字第 0735 號函修正發
布;並自六十六年一月一日起施行
5.中華民國六十八年一月十九日行政院(68)台財字第 0579 號令修正發
布;並自六十八年一月二十一日起施行
6.中華民國六十九年十二月三十一日行政院(69)台財字第 15161 號令
修正發布;並自七十年一月一日起施行
7.中華民國七十年四月三日行政院(70)台財字第 4243 號令修正發布
8.中華民國七十一年十月二十一日行政院(71)台財字第 17758 號令修
正發布名稱及全文 8 條
(原名稱:各類所得扣繳率表;新名稱:各類所得扣繳率標準)
9.中華民國七十二年四月十二日行政院(72)台財字第 6331 號令修正發
布
10. 中華民國七十三年九月二十七日行政院(73)台財字第 15759 號令
修正發布
11. 中華民國七十四年二月五日行政院(74)台財字第 2367 號令修正發
布
12. 中華民國七十七年五月二十七日行政院(77)台財字第 13851 號令
修正發布第 3 條條文
13. 中華民國七十八年三月三十一日行政院(78)台財字第 8001 號令修
正發布第 2、6、8 條條文
14. 中華民國八十年四月十五日行政院(80)台財字第 11221 號令修正
發布第 2、6 條條文
15. 中華民國八十三年三月十四日行政院(83)台財字第 09404 號令修
正發布第 2、3、8 條條文
16. 中華民國八十七年四月八日行政院(87)台財字第 14685 號令修正
發布第 2、8 條條文
17. 中華民國八十八年一月二十九日行政院(88)台財字第 04181 號令
修正發布第 2、3、7 條條文
18. 中華民國九十一年九月二十五日行政院院臺財字第 0910043470 號令
修正發布全文 12 條;並自發布日施行
19. 中華民國九十三年二月二十八日行政院院臺財字第 0930001702 號令
修正發布全文 12 條;並自發布日施行
20. 中華民國九十三年七月二十一日行政院院臺財字第 0930032446 號令
修正發布第 2、3、11 條條文
21. 中華民國九十五年九月七日財政部台財稅字第 09504551080 號令修
正發布第 2、3、11 條條文;並增訂第 3-1、3-2 條條文
22. 中華民國九十七年三月五日財政部台財稅字第 09704510980 號令修
正發布第 2、9、11 條條文
23. 中華民國九十八年一月十六日財政部台財稅字第 09800011120 號令
修正發布第 2、3 條條文
24. 中華民國九十八年十月二十八日財政部台財稅字第 09804570160 號
令修正發布全文 14 條;除第 2~5、9、13 條自九十九年一月一日
施行外,自發布日施行
25. 中華民國九十九年十二月二十二日財政部台財稅字第 09900528810
號令修正發布第 2、14 條條文;第 2 條自一百年一月一日施行
26. 中華民國一百零一年十一月一日財政部台財稅字第 10100685000 號
令修正發布第 1、11、14 條條文;增訂第 2-1 條條文;並自一百
零二年一月一日施行
27. 中華民國一百零二年九月五日財政部台財稅字第 10200650920 號令
修正發布第 1、14 條條文;刪除第 2-1 條條文;並自一百零二年
一月一日施行
28. 中華民國一百零五年一月六日財政部台財稅字第 10400737840 號令
修正發布第 8、11、14 條條文;增訂第 13-1 條條文;並自一百零
五年一月一日施行
29. 中華民國一百零六年十二月二十九日財政部台財稅字第 10604722530
號令修正發布第 1、3~5、14 條條文;並自一百零七年一月一日施
行
30. 中華民國一百零八年九月二十日財政部台財稅字第 10804617710 號
令修正發布第 1~3、14 條條文;並自發布日施行,但第 2、3 條條
文,自一百零八年十二月一日施行
31. 中華民國一百十年六月三十日財政部台財稅字第 11004573610 號令
修正發布第 8、11、14 條條文;並自一百十年七月一日施行資料來源:全國法規資料庫(ChOrder.json,版本 2026/7/24 上午 12:00:00)・政府資料開放授權
The Standards are established in accordance with Paragraph 4 of Article 3-2, Paragraph 3 of Article 3-4, and Paragraph 4 of Article 88 of the Income Tax Act (hereinafter referred to as the "ITA"), Paragraph 6 of Article 25 of the Act Governing Relations between Peoples of the Taiwan Area and the Mainland Area (hereinafter referred to as the "AGR"), and Paragraph 13 of Article 23-1 of the Statute for Industrial Innovation.
1Where a taxpayer is an individual residing within the territory of the Republic of China, or a profit-seeking enterprise having its fixed place of business within the territory of the Republic of China, tax shall be withheld in accordance with the following rules:
21.Tax on salary is withheld in either of the following ways, one of which is to be selected and applied by the taxpayer, however, for the wages for a part-time job and/or a salary not paid monthly, tax shall be withheld in accordance with “The Regulations Governing the Withholding of Tax on Wages”:
3(1)The total monthly payment is withheld in accordance with the Regulations Governing the Withholding of Tax on Wages. For porters in docks and stations and temporary workers in the construction industry, etc. whose wage is calculated and paid on daily basis, their wages are exempted from tax being withheld, but the tax withholder shall still file a withholding report to the tax collecting authority-in-charge in accordance with Paragraph 3 of Article 89 of the ITA.
4(2)5% of the total monthly payment is withheld.
63.Tax on interest is withheld in accordance with the following rules:
7(1)Interest on favorable pension (discharge) fund savings of military personnel, civil servants, and teachers shall be exempted from tax being withheld, but the tax withholder shall file a withholding report to the tax collecting authority-in-charge as applicable under Paragraph 3 of Article 89 of the ITA.
8(2)For interest from the portion of the pecuniary amount realized by short-term commercial papers at their maturity in excess of the selling price at their initial issuance, 10% of the payment is withheld.
9(3)For interest distributed from beneficiary securities or asset-backed securities issued in accordance with the Financial Asset Securitization Act or the Real Estate Securitization Act, 10% of the distribution is withheld.
10(4)For interest on government bonds, corporate bonds, or financial bonds, 10% of the payment is withheld.
11(5)For interest derived from repo (RP/RS) trade whereby a taxpayer purchases securities or short-term commercial papers as described above in Subparagraphs 2 to 4 which shall be the net amount of the sale price at their maturity in excess of the original purchase price, 10% of the payment is withheld.
12(6)For all other types of interest, 10% of the payment is withheld.
134. If the taxpayer and his or her spouse (including such dependents as may be named and identified in the tax return) jointly filing consolidated income derive income from interest on deposits in financial institutions and from trust funds of a savings nature, they may claim a withholding exemption certificate to be held by the tax withholder for registration when making payment in accordance with the Directions for the Implementation of Withholding Exemption Certificates for Savings, where accumulated portion not exceeding NT$270,000 shall be exempted from tax being withheld. However, the interest on postal passbook savings and other forms of interest may be subject to separate taxation as stipulated in the ITA are excluded.
145. For rentals, 10% of the payment is withheld.
156. For royalties, 10% of the payment is withheld.
167. For prizes or payment from contests and games won by chance, 10% of the full payment is withheld. However, for prizes won in a lottery held under government auspices, where the prize for each ticket (raffle, bet) does not exceed NT$5,000, shall be exempted from tax being withheld. Where the prize for each ticket (raffle, bet) exceeds NT$5,000, 20% of the full payment will be withheld.
178. For remuneration to professional practitioners, 10% of the payment is withheld.
189. For pension income, 6% of the balance of the payment minus the fixed exemption is withheld.
1910. For payment of reward for information or accusation, 20% of the full payment is withheld.
2011. For income from transactions in structured products between taxpayers and securities firms or banks, 10% of the income derived is withheld.
21Where the income as prescribed in the Subparagraphs of the preceding Paragraph is derived from sources in the Taiwan Area by an individual of the Mainland Area residing and staying in the Taiwan Area for at least 183 days in a taxable year in accordance with Paragraph 2 of Article 25 of the AGR, or by a juristic person, organization, or other institution of the Mainland Area having its fixed place of business in the Taiwan Area in accordance with Paragraph 2 of Article 25 of the AGR, it shall be withheld as applicable under each corresponding Subparagraph of the preceding Paragraph of this Article.
(Deleted)
1Where a taxpayer is an individual not residing within the territory of the Republic of China, or is a profit-seeking enterprise not having any fixed place of business within the territory of the Republic of China, tax shall be withheld in accordance with the following rules:
21.For an individual not residing within the territory of the Republic of China, in the case of dividends distributed by a company, profits distributed by a cooperative, earnings distributed or payable by the other juristic person, earnings payable by a profit-seeking enterprise organized as a partnership to its partners each year, or earnings from a profit-seeking enterprise organized as a sole proprietorship each year, 21% of the amount distributed or payable, or the income derived is withheld.
32. For salaries, 18% of the payment is withheld. However, cases coming under the following conditions shall not be included:
4(1)For the salaries paid to civil servants employed by the government to work abroad, 5% of the portion of the total monthly payment exceeding NT$30,000 is withheld.
5(2)Since January 1, 2009, for the salaries not exceeding 1.5 times the monthly baseline salary as assessed by the Executive Yuan, but with the exception of salary paid to the individuals described above in Subparagraph (1), 6% of the payment is withheld.
63. For commission, 20% of the payment is withheld.
74.Tax on interest is withheld in accordance with the following rules:
8(1)For interest from the portion of the pecuniary amount realized by short-term commercial papers at their maturity in excess of the selling price at their initial issuance, 15% of the payment is withheld.
9(2)For interest distributed from beneficiary securities or asset-backed securities issued in accordance with the Financial Asset Securitization Act or the Real Estate Securitization Act, 15% of the distribution is withheld.
10(3)For interest on government bonds, corporate bonds, or financial bonds, 15% of the payment is withheld.
11(4)For interest derived from repo (RP/RS) trade whereby a taxpayer purchases securities or short-term commercial papers as described above in Subparagraphs 1 to 3 which shall be the net amount of the sale price at their maturity in excess of the original purchase price, 15% of the payment is withheld.
12(5)For all other types of interest, 20% of the payment is withheld.
135. For rentals, 20% of the payment is withheld.
146. For royalties, 20% of the payment is withheld.
157. For prizes or payment from contests and games won by chance, 20% of the full amount is withheld. However, for prizes won in a lottery held under government auspices where the prize for each ticket (raffle, bet) does not exceed NT$5,000, the tax will be exempted.
168. For remuneration to professional practitioners, 20% of the payment is withheld. However, income derived from written articles, copyrighted books, musical compositions, musical productions, dramas, cartoons, or as remuneration for speeches and lectures on an hourly basis, for which each payment does not exceed NT$5,000, may be exempted from tax.
179. For income from transactions in structured products between taxpayers and securities firms or banks, 15% of the income derived is withheld.
1810. Where a profit-seeking enterprise not having any fixed place of business and business agent within the territory of the Republic of China derives any income other than the categories of income listed in the preceding eight Subparagraphs, 20% of the payment is withheld.
1911. For pension income, 18% of the balance of the payment minus the fixed exemption is withheld.
2012. For payment of reward for information provider or denouncement of tax evasion cases, 20% of the full payment is withheld.
21Where the income as prescribed in Subparagraphs 2 to 12 of the preceding Paragraph derived from sources in the Taiwan Area by an individual of the Mainland Area residing and staying in the Taiwan Area for less than 183 days in a taxable year in accordance with Paragraph 4 of Article 25 of the AGR, or by a juristic person, organization, or other institution of the Mainland Area not having any fixed place of business in the Taiwan Area in accordance with Paragraph 3 and Paragraph 4 of Article 25 of the AGR, it shall be withheld as applicable under each corresponding Subparagraph of the preceding Paragraph of this Article.
The net dividends or profit distributed or attributable to a profit-seeking enterprise having its head office outside the territory of the Republic of China from investment in an enterprise within the territory of the Republic of China shall be withheld at a rate of 21% of the amount distributed or payable by the withholder when payment is made.
1For an individual of the Mainland Area residing and staying in the Taiwan Area for less than 183 days in a taxable year in accordance with Paragraph 4 of Article 25 of the AGR, and a juristic person, organization, or other institution of the Mainland Area, the tax payable for net dividends or profit distributed or attributable shall be withheld at a rate of 21% of the amount distributed or payable by the withholder when payment is made.
2For a company in any third area in which investment has been made by any individual, juristic person, organization, or other institution of the Mainland Area, the tax payable for net dividends or profit distributed or attributable shall be withheld at a rate of 21% of the amount distributed or payableby the withholder when payment is made.
1Where a beneficiary prescribed in Paragraph 1 to 3 of Article 3-2 of the ITA is a profit-seeking enterprise without any fixed place of business and business agent within the territory of the Republic of China, or a juristic person, organization, or other institution of the Mainland Area without any fixed place of business and business agent in the Taiwan Area in accordance with Paragraph 4 of Article 25 of the AGR, the settler shall deduct 20% of the value or the increased portion of the value of the beneficiary's entitlement to such trust benefit when the trust deed takes effect, the beneficiary change takes effect, or the trust property increase takes effect.
2If the beneficiary prescribed in the preceding paragraph is an individual not residing within the territory of the Republic of China or an individual of the Mainland Area residing and staying in the Taiwan Area for less than 183 days in a taxable year in accordance with Paragraph 4 of Article 25 of the AGR, he or she shall declare and pay the tax in accordance with a withholding rate of 20% for the value or the increased portion of the value of the beneficiary's entitlement to such trust benefit in the year the trust deed takes effect, the beneficiary change takes effect, or the trust property increase takes effect.
Where a beneficiary prescribed in Paragraph 4 of Article 3-2 of the ITA is not specified or not in existence yet, in the year the trust deed takes effect, the beneficiary change takes effect, or the trust property increase takes effect, the trustee shall declare and pay the tax according to a withholding rate of 20% for the value or the increased portion of the value of the beneficiary's entitlement to such trust benefit.
1Where a beneficiary prescribed in Paragraph 3 of Article 3-4 of the ITA is not specified or not in existence yet, the tax shall be declared and paid according to a withholding rate of 20% for the income calculated in accordance with the pertinent regulations. However, when considering the amount of income arising from disposition of the house, land, the right to use a house, the presale house with its building location, shares, or capital in Article 4-4 of the ITA by the trustee which is calculated in accordance with Paragraph 3, Article 14-4 of the ITA, the tax shall then be declared and paid in accordance with the following withholding rate according to the holding period of the house, land, the right to use a house, the presale house with its building location, shares, or capital:
21. The withholding rate shall be 45% if the holding period is no more than 2 years.
32. The withholding rate shall be 35% if the holding period is more than 2 years but no more than 5 years.
43. The withholding rate shall be 20% if the holding period is more than 5 years but no more than 10 years.
54. The withholding rate shall be 15% if the holding period is more than 10 years.
65. House and Land, of which the house is built in partnership with a business entity and the share of land associated with the unit has been held for a period of no more than 5 years shall be taxed at 20%.
76. House and the share of land associated with the house that are transferred for the first time after the completion of construction and have been held for a period of no more than 5 years, where the house and land are acquired through participation in urban renewal by providing land, legal buildings, other rights, or capital in accordance with the Urban Renewal Act or the participation in reconstruction in accordance with the Statute for Expediting Reconstruction of Urban Unsafe and Old Buildings shall be taxed at 20%.
For a profit-seeking enterprise of which the headquarters are outside the territory of the Republic of China, its income is calculated by 10% or 15% of the business revenue earned within the territory of the Republic of China in accordance with Article 25 of the ITA given the approval or decision by the Ministry of Finance, and where its profit-seeking enterprise income tax payable shall be withheld and paid by the business agent or the payer in accordance with Subparagraph 2 or Subparagraph 3 of Article 98-1 of the same Act, 20% of the profit-seeking enterprise income earned within the territory of the Republic of China is withheld.
Article 26 of the ITA provides that for a foreign motion picture enterprise which has no branch within the territory of the Republic of China, 20% of the profit-seeking enterprise income earned within the territory of the Republic of China shall be withheld.
1Where an individual outside the territory of the Republic of China derives income arising from transactions of house, land, the right to use a house, the presale house with its building location, shares, or capital in Article 4-4 of the ITA which is calculated in accordance with Paragraph 3, Article 14-4 of the ITA, he or she shall file and pay the tax in accordance with the following withholding rate according to the holding period of the house, land, the right to use a house, the presale house with its building location, shares, or capital:
21. The withholding rate shall be 45% if the holding period is no more than 2 years.
32. The withholding rate shall be 35% if the holding period is more than 2 years.
4Where an individual of the Mainland Area residing and staying in the Taiwan Area for less than 183 days in a taxable year in accordance with Paragraph 4, Article 25 of the AGR derives income which is calculated in accordance with Paragraph 3, Article 14-4 of the ITA, he or she shall file and pay the tax as applicable under the preceding Paragraph of this Article.
5A profit-seeking enterprise which has neither any fixed place of business nor business agent within the territory of the Republic of China but derives income arising from the transaction of house, land, the right to use a house, the presale house with its building location, shares, or capital in accordance with Article 4-4 of the ITA which is calculated in accordance with Paragraph 2, Article 24-5 of the ITA, shall file and pay the tax in accordance with the withholding rate under Paragraph 1 of this Article.
6A juristic person, organization, or other institution of the Mainland Area with neither any fixed place of business nor business agent in the Taiwan Area in accordance with Paragraph 4, Article 25 of the AGR but deriving income arising from the transaction of house, land, the right to use a house, the presale house with its building location, shares, or capital in accordance with Article 4-4 of the ITA which is calculated in accordance with Paragraph 2, Article 24-5 of the ITA, shall file and pay the tax as applicable under the preceding Paragraph of this Article.
7A profit-seeking enterprise with neither any fixed place of business nor business agent within the territory of the Republic of China deriving income from a property transaction other than that specified in Paragraph 3, shall file and pay the tax in accordance with the withholding rate of 20% of the income. An individual outside the territory of the Republic of China deriving income from a property transaction other than that specified in Paragraph 1 or income from self-undertaking in farming, fishing, animal husbandry, forestry, mining, or other income as described in Article 14 of the ITA, shall file and pay the tax in accordance with the withholding rate of 20% of the income.
8A juristic person, organization, or other institution of the Mainland Area with neither any fixed place of business nor business agent in the Taiwan Area in accordance with Paragraph 4, Article 25 of the AGR deriving income from a property transaction other than that specified in Paragraph 4, and an individual of the Mainland Area residing and staying in the Taiwan Area for less than 183 days in a taxable year in accordance with the aforesaid provision of AGR deriving income from a property transaction other than that specified in Paragraph 2, income from self-undertaking in farming, fishing, animal husbandry, forestry, mining, or other income as described in Article 14 of the ITA, that income shall be filed and paid as applicable under the preceding Paragraph of this Article.
An offshore banking unit that receives revenue from loans extended to individuals, institutions, government agencies or financial institutions within the territory of the Republic of China shall file and pay tax in accordance with the withholding rate of 15% of the said total lending revenue.
1When an individual residing within the territory of the Republic of China derives income as prescribed in Article 2, and the tax to be withheld and paid each time by the tax withholder does not exceed NT$2,000, the tax is exempted from being withheld. However, the following income subject to separate taxation in accordance with the ITA will still be withheld and paid according to the pertinent rules:
21. Interest from the portion of the pecuniary amount realized by short-term commercial papers at their maturity in excess of the selling price at their initial issuance.
32. Interest distributed from beneficiary securities or asset-backed securities issued in accordance with the Financial Asset Securitization Act or the Real Estate Securitization Act.
43. Interest on government bonds, corporate bonds, or financial bonds.
54. Interest derived from repo (RP/RS) trade whereby a taxpayer purchases securities or short-term commercial papers as described above in Subparagraphs 1 to 3 in this paragraph shall be the net amount of the sale price at their maturity in excess of the original purchase price.
65. A prize won in a lottery held under government auspices.
76. Payment of reward for information provider or denouncement of tax evasion cases.
87. Income from transactions in structured products between taxpayers and securities firms or banks.
9Where an individual of the Mainland Area residing and staying in the Taiwan Area for at least 183 days in a taxable year in accordance with Paragraph 2 of Article 25 of the AGR derives income as prescribed in Article 2, shall be withheld as applicable under the preceding paragraph of this Article.
10Where the annual income as prescribed in the preceding two paragraphs paid to a taxpayer does not exceed NT$1,000, the withholder is not required to file a withholding report to the tax collecting authority-in-charge in accordance with Paragraph 3 of Article 89 of the ITA.
1Where a profit-seeking enterprise has its fixed place of business within the territory of the Republic of China derives income as prescribed in Article 2, and the tax to be withheld each time by the tax withholder does not exceed NT$2,000, the tax is exempted from being withheld. However, the income subject to separate taxation in accordance with the ITA will still be withheld according to the pertinent rules.
2Where a juristic person, organization, or other institution of the Mainland Area has its fixed place of business or business agent in the Taiwan Area in accordance with Paragraph 3 of Article 25 of the AGR derives income as prescribed in Article 2, any tax on income shall be withheld as applicable under the preceding paragraph of this Article.
The Standards are effective from the date of promulgation; however, the provisions under Article 2, Article 3, Article 4, Article 5, Article 9, and Article 13 amended on October 28, 2009 shall come into force on January 1, 2010. The Articles amended on December 22, 2010 shall come into force on January 1, 2011. The Articles amended on November 1, 2012 shall come into force on January 1, 2013. The Articles amended on September 5, 2013 shall come into force on January 1, 2013. The articles amended on January 6, 2016 shall come into force on January 1, 2016. The articles amended on December 29, 2017 shall come into force on January 1, 2018. The provisions under Article 2 and Article 3 amended on September 20, 2019 shall come into force on December 1, 2019. The Articles amended on June 30, 2021 shall come into force on July 1, 2021.