Mondaq Asia Pacific: Tax > Withholding Tax
Dezan Shira & Associates
Questa strategia fornisce maggiore flessibilità e una maggiore protezione alla loro struttura aziendale.
Dezan Shira & Associates
For multinational corporations operating in China, repatriating cash from their subsidiaries has always been an important but challenging issue.
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.
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.
DeHeng Law Offices
11月12日,越南成为第七个核准"跨太平洋伙伴全面进展协定"(CPTPP)的国家,该协定将于明年1月14日生效。
Labuan IBFC Inc
过去几年来,纳闽国际商业金融中心(Labuan IBFC)的租赁业务与区域经济实现同步增长,为了满足区域经济效益增 长的需求,固定设备需求也不断增长Ӎ
TMF Group
China's aspirations for its aircraft finance sector are as lofty as its potential, as it bids to transform a young and fast-growing domestic industry into a world-beating one.
TMF Group
China's new withholding tax deferral scheme provides tax breaks for foreign companies if they directly reinvest the dividends into industries promoted by the Chinese government.
WTS China
China's tax authority issued a new rule (Announcement 37) to clarify a number of issues concerning withholding tax (WHT) related to dividends and asset sale (including share transfer).
TMF Group
Si quiere hacer negocios en la región de Asia Pacífico, Hong Kong es internacionalmente reconocida como uno de las mejores ciudades para hacerlo.
Mayer Brown
The past three months have seen many tax developments in Southeast Asia, Japan, Korea, China and India. Just to pick a few
DNV & Co
A question arises is whether a foreign company which has earned income from a source in India is required to file its tax return in India.
Nishith Desai Associates
India's traditional policy of non-alignment and the Swiss policy of neutrality, coupled with shared values of democracy and rule of law have forged close ties between the two countries.
Nishith Desai Associates
The Authority for Advance Rulings ("AAR") in a recent ruling (AAR/671/2005) has held that there will be a withholding tax requirement on payments made to a non-resident agent
Khaitan & Co
The tax rates and income slabs under the Income-tax Act, 1961 (IT Act) remain the same, other than the following proposed changes
Nishith Desai Associates
The Indian Income Tax Act, 1961 ("ITA") contains several provisions that deal with the taxation of different categories of mergers and acquisitions.
Nishith Desai Associates
AHEAD of this year's Budget, Software Coalition, an industry body representing many of the world's leading software companies, shot off a letter to the finance ministry seeking clarity on the tax treatment of cross-border payments made for computer software.
Nishith Desai Associates
With respect to the direct tax proposals, the budget has stipulated streamlining of income tax return filings with electronic verification and provision for quick refund mechanism (within 24 hours).
Nishith Desai Associates
Payments for web-hosting services are in the nature of business income.
Nishith Desai Associates
New Delhi, Dec 7 () ESOPs should be taxed only when the benefits are realised by an employee, said a report on taxation in the digital economy.
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Khaitan & Co
The tax rates and income slabs under the Income-tax Act, 1961 (IT Act) remain the same, other than the following proposed changes
Labuan IBFC Inc
The Labuan International Business and Financial Centre (Labuan IBFC) was established more than 25 years ago to complement:
Frank Legal & Tax
The Revenue Department issued a draft bill which would, if enacted, levy withholding tax for online trading of goods and service as well as money-transfer service.
Nishith Desai Associates
Payments for web-hosting services are in the nature of business income.
Nishith Desai Associates
The Authority for Advance Rulings ("AAR") in a recent ruling (AAR/671/2005) has held that there will be a withholding tax requirement on payments made to a non-resident agent
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