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Q&A

What are the taxes covered under the Double Taxation Agreement (DTA) between Chi...

What are the taxes covered under the Double Taxation Agreement (DTA) between Chi...

According to Article 2 of the DTA, the taxes covered are individual income tax (IIT) and corporate income tax (CIT) in China, income tax in singapore and according to Circular 75, these taxes can be levied directly by the government or withheld at so...

Q&A

Can an ?agent of independent status? operating on behalf of an enterprise of one...

Can an ?agent of independent status? operating on behalf of an enterprise of one...

According to the Article 5 of the DTA, an “agent of an independent status” acting in the ordinary course of their business will not be deemed to be a PE. Circular 75 provides that the activities of an agent should meet the below two crit...

Q&A

Will income derived by a resident of a Contracting State from immovable property...

Will income derived by a resident of a Contracting State from immovable property...

Will income derived by a resident of a Contracting State from immovable property situated in the other Contracting State be taxed in that other State (China and Singapore DTA Agreement)?

Q&A

In which case are the business profits of an enterprise in one Contracting State...

In which case are the business profits of an enterprise in one Contracting State...

According to Article 7 of the DTA, the profits of an enterprise of a Contracting State can be taxed in the other Contracting State when the enterprise carriers on business in the latter through a PE situated therein. In this case, the profits of the ...

Q&A

How will dividends paid by a company resident in a Contracting State to a reside...

How will dividends paid by a company resident in a Contracting State to a reside...

According to Article 10 of the DTA, if the beneficial owner of the dividends is a resident of the other Contracting State, the tax should not exceed: 5% of the gross amount of the dividends if the beneficial owner is a company (other than a partne...

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