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Built for Irish NRIsSave 20% on interest

Remittance basis still works here. SARP halves your tax. Indian RSU proceeds stay in NRO.

Ireland still honours the remittance basis for non-domiciled residents, unlike the UK from April 2025. Your NRO RSU proceeds, MF gains and FD interest stay outside the Irish tax net until you remit them. The India-Ireland DTAA caps Indian-source interest at 10% (Article 11) and dividends at 10% (Article 10, flat), and Section 825C SARP can knock 30% off your Irish employment tax. About €1,740 a year for a typical Dublin Big Tech portfolio.

1,740

lost per year by Irish NRIs

10%

DTAA treaty rate on interest income
(instead of 30% TDS deducted in India)

110,000+

Indians in Dublin

Trusted by Indians in Dublin · Senior CAs who specialise in NRI tax

Senior CAs handle your whole India tax side — filing, recovery, notices, property, repatriation. No India trip needed.

Not just DTAA

Chartered Accountants for Irish NRIs — your whole India tax life

DTAA refund recovery is our flagship, but it's one of many things our ICAI-registered CAs handle for Irish NRIs — filing, property, tax notices, repatriation and more, all from Ireland with no India trip.

At a glance

Where Irish NRIssave, and where they don't

Green bars = your treaty rate. Red bars = what your bank actually deducts. The gap is your money.

FD / NRO InterestYou save 20%
Default
30%
Treaty
10%
DividendsYou save 10%
Default
20%
Treaty
10%
Other IncomeYou save 30%
Default
30%
Treaty
0%

3 income types(capital gains, rental, etc.) where the treaty rate matches the default are not shown above. Some treaties include Article 22 provisions for “other income” — eligibility depends on your specific income structure. A CA will confirm which rates apply to you.

What is TDS?

Tax Deducted at Source. Whenever you earn income from investments in India — FD interest, mutual fund returns, dividends — the payer (bank, AMC, or company) deducts tax before crediting your account. For NRIs, this is usually 30% under Section 195, regardless of what you actually owe.

What is DTAA?

Double Tax Avoidance Agreement. A treaty between India and Ireland that caps the tax rate on your Indian income. For example, interest is capped at 10% instead of 30%. The difference is legally yours to claim back.

Want exact numbers, not estimates?

Upload your AIS (Annual Information Statement from the IT portal) and we'll match every TDS line against the India–Ireland DTAA treaty rates.

Upload your AIS, free

Real numbers

A typical Irish NRI's story

Based on Google PMs and engineers in Dublin Silicon Docks, Meta and LinkedIn engineers in Dublin 4, Microsoft in Sandyford, Stripe in Grand Canal Dock, Accenture and Deloitte consultants, Pfizer and MSD pharma professionals in Cork, Trinity College Dublin and UCD academics, and a growing cluster of Indian doctors at HSE hospitals. Big Tech is the biggest single segment by income., the kind of people in the Indian community in Ireland.

R

Rohit

33, senior PM at Google Dublin, Irish tax resident for 5 years (non-domiciled). Recently liquidated ₹3.15Cr of vested Indian RSU proceeds into NRO; carries a ₹1.14Cr Indian MF SIP portfolio, and ₹66L in FDs. Files Form 11 with a Sandyford accountant, uses the remittance basis on the NRO RSU proceeds because they're not being remitted to Ireland yet.

Indian Investments

FD Amount₹66,00,000
Interest Rate7%
MF Portfolio₹1,14,00,000
Annual MF Redemption₹27,00,000
NRO Balance₹3,15,00,000

Annual TDS Impact

Without DTAA (what's being deducted)₹11,37,600
With DTAA (what should be deducted)₹6,04,200

Every year, Rohit saves

5,33,400

5-year recovery potential

26,67,000

This is just one example. Many Indians in Dublin with investments of Senior Google/Meta/Stripe: ₹50L-2Cr+ in NRO from RSU proceeds, ₹20-60L in MFs, often a Bangalore/Mumbai/Hyderabad flat. Pharma at Cork: ₹15-50L MFs, ₹10-30L FDs. Doctors at HSE: ₹20-60L MFs. save even more.

Your side of the process

How to get your Tax Residency Certificate

You're an Indian in Ireland. India needs proof. Here's the workflow from Ireland, documents, portal, timeline, the lot.

Who issues it

Revenue Commissioners

What it costs

Free (Revenue Commissioners issue at no charge via ROS)

Timeline

1-2 weeks (digital)

Form 10F / Form 41

Required alongside TRC

Apply here

Revenue Commissioners. Letter of Tax Residence

www.revenue.ie/en/jobs-and-pensions/tax-residence/resident-for-tax-purposes.aspx

Open →

Step by step

  1. 1

    Log into myAccount on revenue.ie (ROS for self-employed).

  2. 2

    Use the MyEnquiries secure messaging system to request a 'Letter of Tax Residence' for India.

  3. 3

    Specify the tax year and the income type.

  4. 4

    Revenue processes in 1-2 weeks; letter delivered via MyEnquiries.

  5. 5

    Forward to your Indian CA.

Documents you'll need

  • PPS Number
  • ROS or myAccount login
  • Most recent Form 12 or Form 11 assessment
  • Proof of Irish residence

Ireland-specific gotchas

  • Ireland still maintains a non-domicile remittance basis (unlike the UK which abolished it from 6 April 2025). Your Indian NRE interest may still be shelterable from Irish tax.

Once you have the TRC

Attach the Revenue letter to Form 10F on the Indian portal. Claim the 10% interest and 10% dividend rates in your ITR, and Foreign Tax Credit on your Irish return.

Don't want to deal with Revenue Commissioners yourself? Our CAs handle the TRC workflow for Irish NRIs every day.

Things Irish NRIs should know

Pitfalls we've seen Indians in Dublin face

We work with the Indian community in Ireland every day. These are the traps that cost real money.

Irish remittance basis for non-doms: Indian income left inside your NRO/NRE account is NOT taxable in Ireland, only what you actually remit (or constructively use) hits the Irish return. This is a major advantage over the UK from April 2025. Get the domicile vs residence distinction right or you'll over-declare.

Section 825C SARP (Special Assignee Relief Programme): qualifying assignees from India who land in Ireland on intra-group transfers get 30% relief on employment income above €125,000 (the threshold for arrivals on or after 1 January 2026; €100,000 for those who arrived earlier). Many Indian tech and pharma professionals on Dublin assignments qualify and never claim it.

USC (Universal Social Charge) + PRSI 4.1%: the USC is 0.5%/2%/4%/8%/11% bands on top of 20%/40% income tax. Combined marginal can hit 52% on Irish-source income. Indian DTAA does not shelter you from USC, only from the Irish-tax portion.

RSU / ESOP vesting coordination: Irish PAYE withholds at market value on the vesting date for Google, Meta, LinkedIn, Salesforce and Stripe RSUs. Indian-parent-company RSUs (Infosys ADRs, Wipro etc.) have a source-rule split between India service period and Ireland service period, getting the apportionment right matters for both Indian Form 67 and Irish Form 11.

PAYE modernisation (real-time PAYE since 2019): Irish payroll updates Revenue weekly, but the Indian FY (April-March) doesn't align with the Irish year (calendar), file India first, then claim FTC on the next Irish Form 11.

Revenue Commissioners ROS TRC is fast (5-10 days) but the LOTR (Letter of Tax Residence) format must include the year wording your Indian bank wants. RBL, ICICI and HDFC each have slightly different KYC checks.

India-Ireland DTAA 2000 caps interest and dividends at 10% (Articles 10 and 11), straightforward, with no MFN complications.

CA help for Irish NRIs

When Indians in Dublin need a Chartered Accountant

Irish residents are taxed on worldwide income, and Revenue receives Indian account data automatically under the Common Reporting Standard. Most of what Irish NRIs bring to a CA is about documenting the Indian side accurately, claiming credit for tax already paid, and recovering what India over-withheld. These are the situations that come up most often.

Recovering excess TDS on your Indian income via DTAA

India withholds tax at high default rates on NRO interest and other income, well above the India-Ireland treaty rate. A CA files Form 10F with your Irish tax residency certificate and the return to bring it down to the treaty rate and recover the excess.

Learn more

Foreign Tax Credit and Schedule FA on your Indian ITR

Indian income that also appears on your Irish return needs to be reported in Schedule FA, with credit claimed for tax already paid in the other country. A CA keeps the Indian ITR and your Irish filing aligned so the same income is not taxed twice.

Learn more

Data pack for your home-country foreign-asset reporting

Reporting your Indian accounts and holdings on the home side needs an accurate year-end picture — balances, interest, and gains by year. A CA who knows the Indian side builds the data pack so your figures reconcile with what Revenue already sees.

Learn more

Net-worth certificate for a visa or residency application

Several visa and residency routes ask for a CA-certified statement of your assets and net worth, including your Indian holdings. We prepare the certificate in a form the authorities will accept.

Learn more

Returning to India — your dual-year residential status

When you move back, the year you arrive can be split across Irish and Indian residency, and your Irish pension and other holdings need planning for the Indian side. A CA works out the residential-status split so each return is filed on the right footing.

Learn more

Last reviewed 2026-06-11. Each link opens the full walkthrough — what the CA does, the documents, and a worked example.

Ireland NRI tax, by income type

The India-Ireland treaty rate and the India-side fix for each kind of Indian income.

Irish NRIs who recovered

Real people. Real money back.

The HMRC TRC process felt... daunting, honestly. TrustNRI walked me through every single step, filed my amended ITR, and I got £2,100 back. Their UK-specific knowledge is something else entirely.

VP

V.P.

NHS Consultant, London

£2,100

Uploaded my 26AS, saw the savings breakdown in like... 2 minutes? The Germany-specific guidance was spot-on, including the Finanzamt TRC process which nobody else understands. Recovered €2,200.

DV

D.V.

Engineer, Walldorf

€2,200

Questions from Irish NRIs

Everything Indians in Dublin ask us

50+ answers. Hover on for plain-English explanations.

Short version: India treats you as an and deducts 30% on your interest by default. That's the rate for “foreigner, no treaty claimed.” But India and Ireland have a tax treaty (called ) that caps this at 10%. The difference — 20%, is money you're entitled to but aren't getting back. Most Indians in Dublin don't know this exists.

8,700

lost over 5 years by the average Irish NRI

Every year you wait, another 1,740 walks out the door.

1. Upload 26AS

Two minutes. We read your TDS, flag the excess, quote your recovery.

2. We file the treaty paperwork

Form 10F + your country's tax certificate + ITR-2. We pull every form, you stay abroad.

3. Refund into your NRO

Direct credit from the ITD. You keep 85%. Our 15% is success-only.

Section 244A interest at 6%/yr is ticking on your refund right now.

Get a free 15-min call with a CA who knows Ireland–India tax

Just your WhatsApp number. We call within 24 hours. No spam, no card.

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More for Indians in Dublin

Friends & neighbours

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