The Ministry of Finance announced on 6 March 2015 amendments to the transfer pricing rules governing non-arm’s length transactions of profit-seeking enterprises. This amendment coming 10 years after the promulgation of the transfer pricing assessment rules which are made in response to international trends and aim to enhance audit effectiveness, to simplify the advance pricing agreement (APA) application procedures, and to reduce double taxation risk of multinational enterprises. Also the transfer pricing rules specifically include provisions relating to business restructuring.
Indonesia: IMF comments on fiscal policy
Related Posts
Taiwan: Taxation Bureau reminds suspended enterprises to file income tax returns
Taiwan’s Kaohsiung National Taxation Bureau, Ministry of Finance, has reminded profit-seeking enterprises that temporarily suspended operations during the 2025 tax year (Year 114 of the Republic of China calendar) that they must still file income
Read MoreTaiwan announces vehicle license tax payment window for April 2026
Taiwan’s Taxation Administration has announced that the statutory payment period for the vehicle license tax of 2026 is 1 April 2026 to 30 April 2026. Taxpayers are reminded to complete payment within the given timeframe. The Taxation
Read MoreTaiwan: Tax Bureau clarifies business tax exemption for fresh produce sellers
Taiwan’s Northern District National Taxation Bureau of the Ministry of Finance clarified that businesses exclusively engaged in the sale of unprocessed fresh agricultural, forestry, fishery, and livestock products, including by-products, are
Read MoreTaiwan clarifies CIT applies to gains from land held under another’s name
Taiwan’s Northern District National Taxation Bureau of the Ministry of Finance has clarified that when a profit-seeking enterprise purchases land but registers it under another person’s name and later sells it, such a transaction constitutes a
Read MoreTaiwan: Foreign dividends from China-listed companies now taxable for domestic enterprises
Taiwan's Ministry of Finance has issued a notice on 26 March 2026 that when a profit-seeking enterprise with its head office located within the territory of China invests in shares issued by a foreign company that has been approved to list and trade
Read MoreTaiwan: MoF outlines treaty relief for foreign e-services profits
Taiwan’s Ministry of Finance (MoF) has released a notice on 26 March 2026, outlining the possible tax exemption on business profits earned by foreign enterprises from providing electronic services, where such relief is available under applicable
Read More