Our collection of resources based on what we have learned on the ground
Resources
Q&A
What are a company’s options for repatriating funds from a Wholly Owned Subsid...

- September 2016
- Members Access
Foreign companies with long-term goals in the Indian business environment often choose to establish a Wholly Owned Subsidiary (WOS), as it offers a company more flexibility, longevity and a stronger legal foundation. All funds repatriated throu...
Q&A
What is a Limited Liability Partnership (LLP), and what are their options for re...

- September 2016
- Free Access
Limited Liability Partnerships (LLPs) were first introduced in India in 2008. LLPs are given legal entity status and limited liability of stakeholders. They receive the advantages of a company, as well as the operational flexibilities of ...
magazine
Strategies for Repatriating Funds from India

- September 2016
- Members Access
In this issue of India Briefing Magazine, we look at issues related to repatriating funds from India. We highlight the unique regulations for sending funds back from India, examine the various strategies companies can make use of while repatriating, ...
magazine
Comparador de los tipos impositivos en ASEAN para los años 2016/2017

- August 2016
- Members Access
En esta edición de ASEAN Briefing, examinamos la fiscalidad regional de ASEAN a través de la comparación de impuestos de sociedades, impuestos indirectos y retención de impuestos. Además les presentamos el resumen de los diferentes marcos de cum...
Q&A
What are some potential risks of China's transfer pricing environment?

- July 2016
- Members Access
Although China's transfer pricing legislation has developed over the past 20 years, the country's transfer pricing administration is still considered to be very strict. Chinese tax authorities require taxpayers to make a related party filing in conju...
Q&A
According to Chinese tax law, do foreign businesses need to prepare transfer pri...

- July 2016
- Free Access
According to China tax law, taxpayers who meet certain legislative requirements must prepare annual transfer pricing contemporaneous documentation, which includes a transfer pricing study. Taxpayers who don't meet the requirements are not legally req...
Q&A
What is the importance of inter-company agreements between overseas related part...

- July 2016
- Free Access
In previous years, Chinese tax authorities primarily focused on taxpayers’ transfer pricing issues with respect to their main business operations. However, authorities have recently been paying closer attention to taxpayers’ single relate...
magazine
Bekannte Routen, neue Ziele - Chinas Initiative ,Neue Seidenstraße'

- June 2016
- Members Access
Zum zweiten Quartal 2016 veröffentlichen wir das Magazin „Bekannte Routen, neue Ziele – Chinas Initiative ‚Neue Seidenstraße´“, in der wir über die institutionelle Ausrichtung der Volksrepublik China auf der OBOR berichten. Hierbei gehen ...
magazine
Revisione contabile e compliance in Vietnam

- June 2016
- Members Access
In questo numero di Vietnam Briefing, mostriamo le più recenti modifiche alle procedure di revisione e forniamo indicazioni su come garantire che le attività di compliance siano completate in modo efficiente ed efficace. Ci soffermeremo in particol...
magazine
Understanding Mergers & Acquisitions in China

- June 2016
- Members Access
In this issue of China Briefing magazine, we set out to guide foreign investors through the mergers and acquisitions process, from initial market research, to set-up procedures and regulatory hurdles, and finally through important due diligence consi...
magazine
The 2016/17 ASEAN Tax Comparator

- June 2016
- Members Access
In this issue of ASEAN Briefing, we examine regional taxation in ASEAN through a comparison of corporate, indirect, and withholdings taxation. We further present an overview of the compliance environments found across the region and analyze ASEAN’s...
Q&A
How is Corporate Income Tax determined for acquired companies in China?

- June 2016
- Members Access
Under the PRC Corporate Income Tax (CIT) Law, which applies to both domestic enterprises as well as foreign and foreign-invested enterprises, income arising from the transfer of equity and assets (both fixed and intangible) is subject to CIT. While a...
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