Australia and Chile: DTA will be applicable after 1 January 2014 in Chile

01 August, 2013

The Convention between the Republic of Chile and Australia for the Avoidance of Double Taxation was published in Chile’s Official Gazette on 23 July 2013. The treaty was signed on 10 March 2010 and entered into force on 8 February 2013. The

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TIEA between Japan and Guernsey entered into force

01 August, 2013

The mutual ratification procedures  were completed for entry into force of the “Agreement between the Government of Japan and the Government of Guernsey for the Exchange of Information relating to Tax Matters and the Avoidance of Double Taxation

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Treaty between Singapore and Barbados signed

28 July, 2013

On 15 July 2013, the Income Tax Treaty between Barbados and Singapore was signed, in Singapore. The treaty will enter into force when the ratification procedures have been completed. Under the treaty a permanent establishment will exist if a

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India: Treaty between India and Uruguay enters into force

28 July, 2013

The Income and Capital Tax Treaty between India and Uruguay entered into force on 21 June 2013. The treaty generally applies from 1 January 2014 for Uruguay and from 1 April 2014 for India. This treaty was signed in September 8, 2011. Under the

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Singapore: planning changes on Exchange of Information regime

28 July, 2013

Ministry of Finance (MOF) of Singapore’s launched a public discussion regarding suggested modifications in the draft Income Tax (Amendment) Bill 2013 relating to the recent changes made to the Exchange of Information (EOI) regime. The Monetary

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Philippines: New regulation on tax deduction in the event of failure to withhold tax

28 July, 2013

The Philippines issued Revenue Regulation 12-2013 (Rev. Reg. 12-2013) on 13 July 2013. Rev. Reg. 12-2013 is applicable to payments made to both domestic and foreign beneficiary and it will effective from 28 July 2013 for payments that are related

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New Tax Treaty between China and Netherlands

28 July, 2013

The People’s Republic of China and the Netherlands signed a new tax treaty on 31 March 2013, which is expected to replace the current tax treaty of 1987. Under the new treaty, a building site, or construction, assembly or installation project or

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Japan: Changes in customs Valuation regulations

25 July, 2013

The customs valuation regulation has been changed in Japan. The valuation is based on the transaction value in line with World Trade Organization (WTO) rules but the change in the regulations clarifies the issue of which particular transaction is to

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India: Decision on benchmarking international transactions

25 July, 2013

Recently the Income Tax Appellate Tribunal (“ITAT”) provides their decision regarding “standard analysis that every international transaction will have to be benchmarked and analyses separately by comparing it with independent uncontrolled

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Income Tax Treaty between Philippines and Thailand

25 July, 2013

The governments of Philippines and Thailand signed a new Income Tax Treaty on 21 June 2013. After completing necessary ratification procedures by both countries the treaty will enter into force. After entering into force and becoming effective, the

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Hong Kong: Continue to increase company registrations

25 July, 2013

The Hong Kong Special Administrative Region (SAR) operates as a separate tax jurisdiction from mainland China and retains popularity as a place from which to do business with the mainland. In Hong Kong SAR a total of 84,996 local companies were

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China and Switzerland Free Trade Agreement signed

25 July, 2013

A bilateral free trade agreement was signed on 6 July 2013 between China and Switzerland in Beijing. It is expected to enter into effect in 2014. It contains provisions on the protection of intellectual property rights. In order to combat

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Australia: Public disclosure of taxable income & tax payments

25 July, 2013

According to the provisions of legislation enacted in late June 2013, the Australian tax authorities will have to disclose publicly certain information relating to companies with a “reported total income” of greater than AUS $100 million. The

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Vietnam: Preferential customs treatment made more accessible

21 July, 2013

Under business policy in force in Vietnam since 2011 companies have had access to preferential customs treatment only if they have annual revenue of at least USD 350 million. A new Circular issued by the Ministry of Finance has lowered this

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Half-Year Tax Revenues Fall in Taiwan

21 July, 2013

Taiwan's Ministry of Finance has announced a 5.2 percent fall in revenue in June 2013 due to a fall in receipts from corporate taxes. There has been a decrease in total tax collections in the first half of this year which includes falls in

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New Zealand sets strategy for ASEAN Trade and Investment

21 July, 2013

As part of the new ASEAN strategy, New Zealand has made up an aspirant investment, trade and economic goals. Total trade between ASEAN and New Zealand has risen by an average of 9 percent per annum over the past ten years. New Zealand is the fourth

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Malaysia: Deduction for Acquisition of Foreign Owned Company Rules

21 July, 2013

The Income Tax (Deduction for Cost of Acquisition of Foreign Owned Company) Rules 2013 were published in the official gazette on 4 July 2013.  The rules are however deemed to have come into operation on 3 July 2012. The Rules provide that for the

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India: Documentation rules for transactions with “notified jurisdictional areas”

21 July, 2013

Section 94A to the Income Tax Act, 1961 empowers the Indian Government to blacklist certain jurisdictions which do not effectively exchange information with India. Those jurisdictions are classified as “notified jurisdictional areas.” The

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