This treatise systematically explains Chinese partnership taxation and the tax implications for a complete life cycle of a Chinese company, including a foreign-invested company and Chinese corporate reorganization. It not only includes discussion of the current tax rules but also incorporates tax structuring strategies in the analysis of tax implications for market participants. Accordingly, this treatise knits rules and tax planning strategies and solutions into the daily business operations of a market participant, including a company, a partnership (a general partnership and a limited partnership), and an individual investor.
Its 19 chapters cover reporting requirements; the potential anti-avoidance regime in cross-border equity transactions; tax structuring strategies and solutions; general tax rules; and specific tax rules for foreign-service providers, foreign lessors, foreign licensors, and foreign lenders, and much more. This treatise also includes an Appendix providing a comparison of the Chinese income tax rates under applicable tax treaties on China-sourced income of foreign investors.
This is the only guide with the most thorough coverage and practical guidance available regarding the Chinese tax system. It covers all vital areas including concerns of multinational enterprises headquartered inside and outside mainland China, equity and asset acquisitions, corporate reorganizations, Chinese indirect tax, and tax collection and tax returns. It is replete with examples, practice tips, notes, and case studies to help clarify concepts.