Double Taxation Treaties Colombia: how to use them if you have income in multiple countries (2026)

double taxation colombia
Learn how Colombia’s double taxation treaties work in 2026 and how to avoid paying taxes twice if you earn income in multiple countries.

Table of Contents

If you are a foreigner living in Colombia and you continue receiving income from your home country (remote salary, dividends, rental income, pension, interest), one question comes up very quickly: will I be taxed twice?

The good news: Colombia has double taxation treaties with several countries that help you avoid (or reduce) double taxation and provide clear rules on where taxes are paid and how taxes already paid abroad can be credited

In this 2026 guide, I explain how they work, which countries have an active treaty with Colombia, what they cover, and what you need to do to apply them correctly (without complications, but covering what really matters).

What is a double taxation treaty and why does it matter to you?

A double taxation treaty (also called a tax treaty to avoid double taxation) is an agreement between Colombia and another country so that the same income does not end up paying full tax twice: once in the source country and again in Colombia (or vice versa). 

In real life, these treaties serve three very practical purposes:

  • Reduce withholding taxes at source (for example, on dividends or interest).

     

  • Define who taxes first (the source country or the country of residence).

     

  • Allow tax credits (offsetting in Colombia the tax already paid abroad, when applicable).

     

Important: a treaty does not mean “zero taxes.” It means no double taxation and clearer rules.

Countries with active tax treaties with Colombia in 2026

According to the DIAN, Colombia has active income tax treaties with the following countries, in addition to multilateral agreements such as the Andean Community (CAN) and the Pacific Alliance agreement for pension funds: 

Active treaties (income tax):

  • Spain (effective since 23/10/2008) 

     

  • Chile (22/12/2009) 

     

  • Switzerland (01/01/2012) 

     

  • Canada (12/06/2012) 

     

  • Mexico (11/07/2013) 

     

  • Korea (03/07/2014) 

     

  • India (07/07/2014) 

     

  • Portugal (30/01/2015) 

     

  • Czech Republic (06/05/2015) 

     

  • United Kingdom (13/12/2019) 

     

  • Italy (07/10/2021) 

     

  • France (01/01/2022) 

     

  • Japan (04/09/2022) 

     

Relevant multilateral agreements:

  • Andean Community (CAN) (effective since 01/01/2005). 

     

  • Pacific Alliance – pension funds (effective since 02/07/2023). 

     

What types of income are covered and what benefits can you obtain?

Although each treaty has its own details, almost all of them cover what matters most to individuals:

Typical types of income

  • Salaries / professional services (dependent or independent work)

     

  • Dividends

     

  • Interest

     

  • Royalties

     

  • Capital gains (sale of assets, depending on the case)

     

  • Pensions (depending on the treaty and the type of pension)

     

Typical benefits

  • Reduced withholding tax on payments from Colombia to your country (or from your country to Colombia).

     

  • Avoiding double taxation: if you paid tax in the source country, Colombia allows recognition according to the treaty rules and/or through tax credits, if applicable.

     

  • Residency tie-breaker rules: the treaty helps resolve cases where “two countries claim you as a tax resident.”

     

How to actually “use” a treaty in practice

This is where many people fail: the treaty exists, but if you don’t apply it correctly, you can still end up over-withheld.

1) Confirm your tax residency (the starting point)

For almost any benefit, you must be clear about whether you are a tax resident in Colombia. If you live here most of the year, you most likely are.

2) Obtain a tax residency certificate (when applicable)

In many cases, to apply a reduced withholding or benefit, you need to prove tax residency and the taxes filed in the other country (whichever applies) to the payer or as support before the authority.

3) Document what you paid abroad (to avoid paying twice)

If you pay tax abroad on certain income, don’t leave it undocumented. You need supporting documents (certificates, statements, tax returns) to justify the correct treatment in Colombia.

4) Don’t mix this with “internet tips”

Treaties have specific articles for each type of income. A common mistake is thinking “everything is exempt.” No: the treaty applies by type of income and under specific conditions.

Practical 2026 example: Spanish citizen living in Colombia with income in Spain

Imagine this scenario:

  • You are Spanish, live in Medellín, and become a tax resident in Colombia.

     

  • You have:

     

    • Salary income in Colombia (local employment or services rendered here).

       

    • Dividends from a company in Spain.

       

What changes under the Colombia–Spain treaty?

The treaty helps ensure that you do not pay full tax twice on those dividends and provides clarity between both countries. Colombia, as the country of residence, will normally require you to report your income, but the treaty defines limits and coordination to avoid duplication. 

In practice, the key is to get proper advice to:

  • verify withholding in Spain (if applicable), and

     

  • correctly structure the treatment in Colombia so you don’t end up paying twice due to poor planning (which happens very often).

     

This is exactly the type of case where a treaty actually saves you money — but more importantly, saves you from costly mistakes.

Quick note: if your country is the United States, this article is still useful to understand the concept, but currently there is no income tax treaty in force between Colombia and the U.S., which means you must rely more heavily on tax credits and planning. 

Common mistakes we see among foreigners (and that are expensive)

  • Believing that “since I pay tax in my country, I don’t have to file in Colombia.”

     

  • Not identifying on time that you are already a Colombian tax resident.

     

  • Allowing high withholdings when you could apply treaty benefits (due to lack of documentation).

     

  • Not coordinating your Colombian accountant/advisor with the one in your home country.

     

FAQs

Does a treaty mean I don’t pay taxes in Colombia?
No. It means you don’t pay the same income twice and that some withholdings may be lower, depending on the type of income and the applicable treaty.

What if my country does not have a treaty with Colombia?
You can still avoid double taxation using domestic mechanisms (such as foreign tax credits), but it usually requires more planning and documentation.

Where can I check the treaties in force?
On the official DIAN list of International Tax Treaties. 

If you are living in Colombia and have income in another country, a treaty can help you a lot — but the real benefit appears when it is applied correctly: clear tax residency, proper documentation, and a coherent strategy so you don’t end up overpaying due to disorganization; at Nexo Legal, we help you review your case, confirm whether you can use an active treaty, and give you a concrete roadmap to comply with the DIAN without duplication or surprises — contact us and we’ll review it with you.

Get started with a free case assessment ​

What will happen after you fill out this form? ​

After submitting the form, your case undergoes a comprehensive review by our team of specialist to assess its viability. Providing clear and concise information about your objectives accelerates this process.

Subsequently, a specialist will be assigned to your case, reaching out to you within a day to clear up details about your case and outline the next steps to help you achieve your goals.

Get started with a free case assessment ​

What will happen after you fill out this form? ​

After submitting the form, your case undergoes a comprehensive review by our team of specialist to assess its viability. Providing clear and concise information about your objectives accelerates this process.

Subsequently, a specialist will be assigned to your case, reaching out to you within a day to clear up details about your case and outline the next steps to help you achieve your goals.

Leave a Comment

Your email address will not be published. Required fields are marked *

Scroll to Top
Privacy Summary

COOKIE POLICY

1. WHAT ARE COOKIES?

Cookies are small files that are installed on the hard drive or browser of a computer, tablet, smartphone, or similar device with internet browsing capabilities. They help, among other things, personalize the services of the website owner, facilitate navigation and usability, obtain aggregated information about website visitors, enable the playback and display of multimedia content on the website, allow user interaction, and enable tools.

 

2. AUTHORIZATION FOR THE USE OF OWN COOKIES AND CLICKSTREAM TECHNOLOGY

The internet browser automatically collects information about the user's previous activities before accessing our website, such as the search terms used and the browser through which the search was conducted. In order to understand how visitors, use our website and provide them with a better and safer browsing experience, our website may track the pages visited by our users. This information is collected using "Cookies" or Clickstream Technology. By accepting these terms and conditions, the user authorizes the collection of cookies used during their browsing session, according to the conditions and the following:

 

3. AUTHORIZATION FOR THE USE OF THIRD-PARTY COOKIES

This refers to the collection of data on our website for the purpose of compiling statistical information about the user, by storing cookies on the visitor's hard drive. In order to collect and process this information statistically for our website and application, we use the services of Google Analytics, which involves the collection and storage of the aforementioned information.

 

4. AUTHORIZATION FOR COOKIES CAPABLE OF IDENTIFYING THE USER

Only aggregated and anonymous data is stored for the purpose of conducting strictly statistical analysis on the number of visitors and the most visited content, in order to improve the website and enhance the effectiveness of its online presence. Therefore, users, customers, employees, contractors, and partners of the COMPANY acknowledge that they are aware that data collected through the website or mobile applications may be accessed.

 

5. NATIONAL OR INTERNATIONAL TRANSFER OF PERSONAL DATA

The user or customer acknowledges and accepts that the COMPANY may transfer data to other data controllers when authorized by the data subject, by law, or by administrative or judicial order.

 

6. PROCEDURES FOR EXERCISING DATA SUBJECT RIGHTS

The procedures for data subjects to exercise their rights to access, update, rectify, delete information, or revoke their authorization under this policy are detailed in the Data Protection and Data Handling Policy.

 

6.1. PERSONS AUTHORIZED TO EXERCISE RIGHTS:

  • By the Data Subject, who must sufficiently prove their identity using the various means made available by the data controller.
  • By their legal representatives, who must prove such status.
  • By the representative and/or attorney-in-fact of the Data Subject, after proving their representation or power of attorney.
  • By stipulation for the benefit of another or for another.
  • The rights of children or adolescents will be exercised by those authorized to represent them.

 

6.2. RIGHT OF ACCESS:

Frequency: At least once every calendar month and/or whenever there are substantial modifications to the Information Processing Policies that may warrant new inquiries.

 

6.3. UPDATING, RECTIFICATION, AND SUSPENSION

Methods: All inquiries and claims to the COMPANY can be made through the following means:

 

  • Email: direccioncomercial@nexo.legal
  • Physical Address: Calle 11 # 43 B 50, Parque Empresarial Calle 11, Barrio Manila, Medellín, Antioquia.
  • Website: https://nexo.legal/
  • Cell Phone Number: (+57) 3153354174