All
Mauritian double taxation avoidance treaties are based on the OECD Model
Treaty of 1977. Under the post-independence treaties concluded so far, tax
sparing is available. This implies that where Mauritian source dividends are
exempt from tax under the tax incentive provisions, the foreign investor is
entitled to credit a notional amount of Mauritian tax against the tax
payable (if any) in his country, thus reducing his domestic tax
liability.