Mondaq Asia Pacific: Tax > Tax Authorities
China Tax & Investment Consultants Ltd
The definition of PE included in tax treaties is therefore crucial in determining whether a non-resident enterprise must pay income tax in another State.
Dezan Shira & Associates
On April 1, 2019, China's Ministry of Finance (MOF) and State Administration of Taxation (SAT) released the Announcement on Relevant Policies for Deepening Value-Added Tax Reform (Announcement [2019] No. 39).
Dezan Shira & Associates
Questa strategia fornisce maggiore flessibilità e una maggiore protezione alla loro struttura aziendale.
Dezan Shira & Associates
When a business decides to relocate, and picks a site after careful analysis and comparison, the next step is to develop a suitable relocation strategy on the operational level.
Dezan Shira & Associates
Many companies looking at the Chinese market choose to establish a holding company or special purpose vehicle (SPV) to hold their Chinese investments.
King & Capital Law Firm
近日,京都律师事务所主任朱勇辉律师及合伙人聂素芳律师办理的某化工企业员工(以下化名化某)涉嫌虚开增值税专用发票一案,在案件一
China Tax & Investment Consultants Ltd
In negotiating a tax treaty, both parties can discuss and cover every topic and insert it in the agreement or protocol.
China Tax & Investment Consultants Ltd
Note that this section illustrates how Article 16 works in practice from an Australian perspective.
China Tax & Investment Consultants Ltd
The following is Part 3 of the above captioned article that specifically deals with How contracting jurisdictions apply Article 16 to their CTA's.
China Tax & Investment Consultants Ltd
This paper will focus on Article 16 - mutual agreement procedure (the MAP) and will be organized in the following way:
China Tax & Investment Consultants Ltd
It is observed that except for India, 4 other contracting parties have chosen to opt-in for Article 7(4).
China Tax & Investment Consultants Ltd
Article 6(1) sets the minimum standard for all Parties that have committed themselves to the OECD/G20 BEPS package.
Khaitan & Co
The key issue which needs further deliberation is that whether the positions captured in the Circular are merely clarificatory in nature or are substantive changes to the legal position.
SKP Business Consulting LLP
Recent slowdown and economic downturn had created a lot of uncertainty.
Khaitan & Co
This case deals with a Cyprus taxpayer which was earning interest income from India.
Khaitan & Co
Recently, the Delhi Bench of the Income Tax Appellate Tribunal held that the Liaison Office of Hitachi Technologies Singapore Pte Limited constituted a Permanent Establishment of Hitachi in India for the financial years 2001-02 to 2006-07.
TMF Group
India has implemented practices and reformed policies to improve the business climate for all investors.
Khaitan & Co
In furtherance of its widely promoted objective of ensuring efficiency and transparency in tax administration, the Government has notified the much-awaited E-assessment Scheme, 2019 vide Notification No. 61/2019 ...
AZB & Partners
In a significant development, the Indian Finance Minister introduced few sweeping investor friendly tax amendments to the Income-tax Act, 1961. Effective from FY 2019-20, these include:
AMLEGALS
Corporate tax rate to be 22% without exemptions, inclusive of surcharge and cess.
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Vaish Associates Advocates
Directorate of Enforcement is a multi-disciplinary organization mandated with the task of enforcing the provisions of two special fiscal laws – Foreign Exchange Management Act, 1999 and Prevention of Money Laundering Act, 2002.
Khaitan & Co
This case deals with a Cyprus taxpayer which was earning interest income from India.
DNV & Co
With globalisation and fast expanding businesses beyond Indian territory, Indian Companies avail various kinds of services from Companies and professionals outside India and incur expenses like Royalty, ...
AMLEGALS
The Finance Minister Ms. Nirmala Sitharaman during her maiden budget, presented on 5th July, 2019, declared a scheme namely "Sabka Vishwas (Legacy Dispute Resolution) Scheme 2019".
Khaitan & Co
In line with the recent assurances from the Finance Minister of India regarding ending the tax harassment, the CBDT which is the apex body for administration of direct tax in India, has issued 2 circulars.
AZB & Partners
Cost with reference to certain modes of acquisition.
LexCounsel Law Offices
The Insolvency and Bankruptcy Code, 2016 is one of the most dynamic legislations in the recent times and is being interpreted by the courts to expand the ambit of the Code and also possibly provide maximum benefit ...
Khaitan & Co
In furtherance of its widely promoted objective of ensuring efficiency and transparency in tax administration, the Government has notified the much-awaited E-assessment Scheme, 2019 vide Notification No. 61/2019 ...
Khaitan & Co
In a recent case, The Deputy Commissioner of Income-tax v TCS E-Serve International Limited dated 28 August 2019, the Mumbai Bench of the Income Tax Appellate Tribunal has allowed a demerged company to ...
SKP Business Consulting LLP
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates...
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