OrbitaxOrbitax

Ruling on deemed profits of foreign companies

|Approved Changes|Taiwan
Taiwan

It has been reported that the Ministry of Finance, on 11 April 2007, issued a ruling clarifying the tax treatment of foreign companies on the basis of deemed profits as stipulated in Art. 25 of the Income Tax Act. The Ruling applies retroactively from 1 April 2007 and the contents are summarized below.

Under Art. 25 of the Income Tax Act, a foreign entity…

Continue Reading