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China Tax, Newsletter

July 31, 2022

Higher Benefits but Strengthening Supervision on High and new Technology Enterprise (高新科技企業)

In our June 2022 Issue of Newsletter, we will discuss some of the important updates in PRC Tax in the first half of 2022.3.   Higher Benefits but Strengthening Supervision on [...]

China Tax, Newsletter

July 31, 2022

Recent Court Cases of Foreign Exchange Violation

In our June 2022 Issue of Newsletter, we will discuss some of the important updates in PRC Tax in the first half of 2022.2.   Recent Court Cases of Foreign Exchange [...]

China Tax, Newsletter

July 31, 2022

Limitation on Use of Capital for Wholly Foreign Owned Enterprise (“WFOE”) in Mainland China

In our June 2022 Issue of Newsletter, we will discuss some of the important updates in PRC Tax in the first half of 2022.1.  Limitation on Use of Capital for [...]

China Tax, Newsletter, PRC Individual Income Tax

December 21, 2021

Taxability of Greater Bay Area Tax subsidy and Tax Credit Claim in Hong Kong

In the 2020 Annual Meeting between the IRD and HKCIPA, the following two issues about the Greater Bay Area (“GBA”) have been discussed which is going to bring significant impact [...]

China Tax, Foreign Exchange Control, Newsletter

March 30, 2021

External Debt Quota in China

Traditional method of the Quota is the differences between the paid capital and registered capital (“Method 1”). Starting from the year 2017, the net asset method can also be selected [...]

China Tax, Foreign Exchange Control, Newsletter

March 30, 2021

Court Case Study: Prohibited usages of Share Capital of WFOE

Let me read a court case in Mainland China...鈺基國際貿易(上海)有限公司 (“the Company”) has acquired a rented property (“the Property”) located in Shanghai. The purchase funds came from its share capital.  Before [...]

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