Chinese Tax Law and International Treaties [electronic resource] / by Lorenzo Riccardi.

Por: Riccardi, Lorenzo [author.]Tipo de material: TextoTextoEditor: Heidelberg : Springer International Publishing : Imprint: Springer, 2013Descripción: XII, 270 p. 13 illus. online resourceTipo de contenido: text Tipo de medio: computer Tipo de portador: online resourceISBN: 9783319002750Trabajos contenidos: SpringerLink (Online service)Tema(s): Law | Law | Private International Law, International & Foreign Law, Comparative Law | Business Taxation/Tax Law | International Economic Law, Trade Law | Emerging Markets/GlobalizationFormatos físicos adicionales: Sin títuloClasificación CDD: 340.9 | 340.2 Clasificación LoC:K7000-7720.22K7073-7078Recursos en línea: de clik aquí para ver el libro electrónico
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Springer eBooksResumen: The Peoples Republic of Chinas tax policies and international obligations are as multifaceted and dynamic as they are complex, developing closely with the nations rise to the worlds fastest-growing major economy. Today, after decades of reform and the entry into the World Trade Organization, China has developed regulatory systems that enable it to provide stable administration, including a tax structure. Chinas main tax reform can be attributed to the enactment of the Enterprise Income Tax Law, which came into effect on January 1, 2008. Chinese tax regulations include direct taxes, indirect taxes, other taxes, and custom duties and from a collection point of view, Chinas tax administration adopts a very devolved system, with revenue collected and shared between different levels of government in accordance with contracts between the different levels of the tax administration system. With respect to international treaties, China has established a network of bilateral tax treaties and regional free trade agreements. This publication describes in detail Chinas complex tax system and policies, as well as major bilateral treaties in which China has entered into using country-by-country analysis. Lorenzo Riccardi is Tax Advisor and Certified Public Accountant specialized in international taxation. He is based in Shanghai, where he focuses on business and tax law, assisting foreign investments in East Asia. He is an auditor and an advisor for several corporate groups and he is partner and Head of Tax of the consulting firm GWA, specializing in emerging markets.
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Legislative Background and Tax Reform -- Individual Income Tax Law -- Company Income Tax -- Turnover Taxes -- Profiles of International Tax -- Introduction to International Taxation -- Transfer Pricing Policies in China -- Anti-Avoidance Rules and Permanent Establishment Concept -- International Tax Treaties.

The Peoples Republic of Chinas tax policies and international obligations are as multifaceted and dynamic as they are complex, developing closely with the nations rise to the worlds fastest-growing major economy. Today, after decades of reform and the entry into the World Trade Organization, China has developed regulatory systems that enable it to provide stable administration, including a tax structure. Chinas main tax reform can be attributed to the enactment of the Enterprise Income Tax Law, which came into effect on January 1, 2008. Chinese tax regulations include direct taxes, indirect taxes, other taxes, and custom duties and from a collection point of view, Chinas tax administration adopts a very devolved system, with revenue collected and shared between different levels of government in accordance with contracts between the different levels of the tax administration system. With respect to international treaties, China has established a network of bilateral tax treaties and regional free trade agreements. This publication describes in detail Chinas complex tax system and policies, as well as major bilateral treaties in which China has entered into using country-by-country analysis. Lorenzo Riccardi is Tax Advisor and Certified Public Accountant specialized in international taxation. He is based in Shanghai, where he focuses on business and tax law, assisting foreign investments in East Asia. He is an auditor and an advisor for several corporate groups and he is partner and Head of Tax of the consulting firm GWA, specializing in emerging markets.

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