International Tax, Newsletter
Tax Relief Conditions proposed by the Hong Kong Tax Authority due to COVID-19 circumstances
The IRD has expressed its view on the approach in relation to the tax issues arising from the COVID-19 Pandemic, which generally is in line with the Updated COVID-19 Tax [...]
International Tax, Newsletter
OECD releases Statement to finalize parameters used in the implementation of BEPS
OECD released a Statement in October 2021 to confirm certain parameters to be used in the implementation of Two-Pillar solution under the BEPS 2.0 project. See our previous Newsletters on [...]
International Tax, Newsletter
The Government agrees to support the “global minimum tax rate” under BEPS 2.0
The Inclusive Framework on BEPS (commonly known as "BEPS 2.0") proposed by the OECD in the fourth quarter of Year 2020 has been formally set out as a specific plan [...]
International Tax, Newsletter
Global Tax Environment: BEPS 2.0 Development on Digital Economy
The Inclusive Framework on BEPS (IF) have released documents in the last quarter of Year 2020, setting out detailed proposals for the two “Pillars” to address deficiencies of the international [...]
International Tax, Newsletter
Determination of PE in Singapore during COVID-19
IRAS updated its guidance to “relieve” conditions to apply for Singapore tax resident and fine-adjust PE definitionThe Inland Revenue Authority of Singapore (“IRAS”) has updated its COVID-19 Support Measures and [...]
International Tax, Newsletter
Abolishment of Macau Offshore Company Regime
In order to cooperate with the OECD’s framework to combat cross-border tax evasion and promote tax transparency, the existing Macau offshore company (“MOCs”) regime has already been abolished on 1 [...]
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