Mondaq Asia Pacific - China: Tax
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).
DeHeng Law Offices
前言:2019年7月17日,李克强主持召开国务院常务会议,确定支持平台经济健康发展的措施,壮大优结构促升级增就业的新动能,指出完善平台企Ç
Dezan Shira & Associates
Questa strategia fornisce maggiore flessibilità e una maggiore protezione alla loro struttura aziendale.
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
As the following table shows, a Signatory or Party to the Convention can choose to apply paragraph 4 either in addition to or to the exclusion of paragraph 1.
China Tax & Investment Consultants Ltd
Both Japan and Zealand opts in for Article 9(4), and both of the two contracting states have made notification to the Depositary, pursuant to Article 9(8) of the MLI.
China Tax & Investment Consultants Ltd
In Section IV, the article ends with a conclusion that one can learn from understanding the MLI as an international convention.
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.
Dezan Shira & Associates
China Briefing explains the current tax situation and incentives introduced.
Dezan Shira & Associates
Following the announcements made in the annual Work Report delivered at the Two Sessions, the Ministry of Finance, State Taxation Administration, and General Administration of Customs have jointly issued a series of new policies on VAT.
Dezan Shira & Associates
To help foreign investors and taxpayers understand how China computes individual income tax, China Briefing offers a guide outlining how to calculate and withhold IIT for both resident and non-resident individuals.
Dezan Shira & Associates
China and Italy have updated their bilateral double tax agreement (DTA) to encourage investment and provide greater fiscal certainty as the two countries grow closer economically.
China Tax & Investment Consultants Ltd
Article 35(4) provides that Article 16 (MAP) shall have effect with respect to a CTA for a case presented to the competent authority of a contracting jurisdiction on or after the latest of the dates on which the MLI ...
China Tax & Investment Consultants Ltd
The Multilateral Convention to Implement Tax Related Measures to Prevent Base Erosion and Profit Shifting (the multilateral Instrument, the MLI), developed by the OECD and endorsed by the G20, offers concrete solutions ...
Most Popular Recent Articles
China Tax & Investment Consultants Ltd
The Multilateral Convention to Implement Tax Related Measures to Prevent Base Erosion and Profit Shifting (the multilateral Instrument, the MLI), developed by the OECD and endorsed by the G20, offers concrete solutions ...
China Tax & Investment Consultants Ltd
Article 35(4) provides that Article 16 (MAP) shall have effect with respect to a CTA for a case presented to the competent authority of a contracting jurisdiction on or after the latest of the dates on which the MLI ...
Buren
Do you consider a job with a foreign company in China, or do you consider sending an employee on assignment to China?
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
In negotiating a tax treaty, both parties can discuss and cover every topic and insert it in the agreement or protocol.
DeHeng Law Offices
前言:2019年7月17日,李克强主持召开国务院常务会议,确定支持平台经济健康发展的措施,壮大优结构促升级增就业的新动能,指出完善平台企Ç
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:
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
DeHeng Law Offices
增值税税率下降之所以是对企业的重大利好,主要是因为税率下降减少了企业的经营现金流出,进而企业可以用节省下来的资金合理安排销售
China Tax & Investment Consultants Ltd
In Section IV, the article ends with a conclusion that one can learn from understanding the MLI as an international convention.
DeHeng Law Offices
2018年8月31日,全国人大常委会审议通过《关于修改<中华人民共和国个人所得税法>的决定》,本次修订新增"个人转让股权办理变更登记的,市场主体&
China Tax & Investment Consultants Ltd
Note that this section illustrates how Article 16 works in practice from an Australian perspective.
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