Tax & Finance · Cyprus

Foreign pensions at 5%. Dividends and interest at 0% for 17 years. Here's the fine print.

Last verified: July 8, 2026

Cyprus is one of the most retiree-friendly tax codes in the EU, and the January 2026 tax reform made it slightly better. But the headline numbers come with elections, exemptions, and a US filing obligation that doesn't go away. Here's how it actually works.

The key numbers · 2026
  • Foreign pensions: flat 5% on the amount above €5,000/year — an annual election, or progressive bands if lower
  • Income tax bands: 0% up to €22,000, then 20/25/30%, 35% above €72,000
  • Non-dom: 0% defence contribution (SDC) on dividends and interest for 17 years — extendable to 27 for €250,000 per 5-year block
  • No inheritance tax · no wealth tax · no annual property tax
  • GHS health contribution: 2.65% on income including pensions, dividends and interest, capped at €180,000/year of income
  • Tax residency: 183 days — or the 60-day rule if you're not tax-resident anywhere else

The 5% pension election, precisely

Cyprus lets tax residents choose, every year, how their foreign-source pension income is taxed:

You pick whichever is lower, each tax year. "Foreign pension" covers employment-related pensions from abroad — US Social Security, employer pensions, CPP, OAS and similar periodic retirement payments; how a specific IRA or RRIF withdrawal is characterised is one for your adviser.

Foreign pension incomeFlat 5% electionProgressive bands*Better option
€18,000/yr (≈ $20,500)€650€0Bands — under the €22,000 free band
€30,000/yr (≈ $34,200)€1,250€1,600Flat 5%
€50,000/yr (≈ $57,000)€2,250€6,900Flat 5%

*Illustrative: pension as only income, 2026 bands, no deductions. USD at €1 = $1.14 (July 1, 2026). Add the GHS contribution of 2.65% on top in each case.

Non-dom: 17 years of 0% on dividends and interest

Cyprus levies a Special Defence Contribution (SDC) on passive income — but only on residents who are domiciled in Cyprus. Move from the US or Canada and you're a classic "non-dom": Cyprus tax resident, foreign domicile of origin. For your first 17 years of Cyprus tax residence you pay:

New in the 2026 reform: after year 17, you can extend non-dom treatment by two further 5-year blocks at a lump sum of €250,000 each — a maximum of 27 years. At that price it only makes sense for large portfolios.

The 2.65% that always applies: GHS (GeSY) contributions are due on dividends, interest, rents and pensions regardless of non-dom status — 2.65%, on income up to €180,000/year. Think of it as the real minimum tax on passive income in Cyprus.

Becoming tax resident: 183 days — or 60

You're Cyprus tax resident if you spend more than 183 days there in a calendar year. Cyprus also has a 60-day rule: spend 60+ days in Cyprus, don't spend 183+ days in any other single country, aren't tax resident anywhere else, and maintain ties (a home you own or rent, plus a Cyprus business, employment or directorship). For most retirees the 183-day route is the natural one.

What Americans and Canadians still owe back home

United StatesCanada
Keep filing?Yes — the US taxes citizens on worldwide income wherever they live. Note: the FEIE ($132,900 for 2026) covers earned income only — it does not shelter pensions or Social Security. Foreign tax credits do the work instead.Generally no, once you cease Canadian tax residency — but watch departure tax on deemed disposition of assets.
TreatyUS–Cyprus treaty signed 1984, in force 1986. US Social Security remains taxable by the US under the treaty. IRA/401(k) treatment has traps — get advice.Canada–Cyprus convention signed May 2, 1984. Canadian withholding on periodic pension payments (CPP, OAS, RRIF) is capped at the lesser of 15% of gross or the rate on a notional Canadian return.
Accounts reportingFBAR if foreign accounts exceed $10,000 aggregate; FATCA Form 8938 thresholds apply on top.Standard CRA exit rules: forms T1161/T1243 territory on departure.
Social securityNo US–Cyprus totalization agreement exists. Retirees drawing benefits are unaffected, but self-employed Americans risk double social-security contributions.Canada–Cyprus social security agreement in force since May 1, 1991 — CPP and OAS coordinate and are exportable.
Don't trust sites claiming a US–Cyprus totalization agreement. Cyprus is not on the SSA's list of agreement countries (ssa.gov/international). At least one aggregator says otherwise; it's wrong.

What Cyprus doesn't tax

Worked example: a US couple on $60,000

A couple, both 67, Cyprus tax residents, non-dom. Income: $48,000 in Social Security and pensions (≈ €42,100) split between them, plus $12,000 (≈ €10,500) in dividends and interest.

Illustrative only — real outcomes depend on how each income stream is characterised. Model yours with a cross-border professional before you move, not after.

Sources

  1. PwC Worldwide Tax Summaries — Cyprus: taxes on personal income & income determination (2026 bands, 5% pension election, €5,000 exemption, SDC, 60-day rule): taxsummaries.pwc.com
  2. 2026 tax reform (voted Dec 22, 2025; in force Jan 1, 2026): PwC Cyprus Direct Tax Update N-1-2026 (Jan 7, 2026); KPMG Cyprus tax reform analysis (Feb 2026)
  3. Non-dom 17 years + €250,000 five-year extensions: Kendris, Cyprus Tax Reform 2026; corroborated by Lexology and Sovereign Group reform summaries
  4. GHS contributions and €180,000 cap: gesy.org.cy; PwC WWTS "Other taxes"
  5. US–Cyprus income tax treaty (1984): irs.gov · FBAR: irs.gov · FEIE 2026 per Rev. Proc. 2025-32
  6. No US–Cyprus totalization agreement — SSA agreement country list: ssa.gov/international
  7. Canada–Cyprus tax convention (May 2, 1984): treaty-accord.gc.ca · Canada–Cyprus social security agreement (in force May 1, 1991): canada.ca
This guide is general information, not tax advice. Cross-border taxation is personal — engage a professional licensed on both sides before you trigger Cyprus tax residency.