+ Follow VALUE-ADDED TAX REGULATIONS Tag
Array
(
[results] => Array
(
[0] => Array
(
[ArticleID] => 170907
[Title] => Royalty payments
[Summary] => FCP is a corporation organized and existing under Philippine law and a wholly-owned subsidiary of Japan-based FCJ. It seeks a ruling on whether the royalty payments it makes to its mother company are exempt from the value-added tax, both during the six-year income tax holiday (ITH) period extended by the Philippine Economic Zone Authority and after the lapse of the ITH, should it choose to pay a 5% final tax on its gross income earned in lieu of all national and local taxes in accordance with Section 24 of RA 7916.
[DatePublished] => 2002-08-05 00:00:00
[ColumnID] => 133272
[Focus] => 0
[AuthorID] =>
[AuthorName] =>
[SectionName] => Business As Usual
[SectionUrl] => business-as-usual
[URL] =>
)
)
)
VALUE-ADDED TAX REGULATIONS
Array
(
[results] => Array
(
[0] => Array
(
[ArticleID] => 170907
[Title] => Royalty payments
[Summary] => FCP is a corporation organized and existing under Philippine law and a wholly-owned subsidiary of Japan-based FCJ. It seeks a ruling on whether the royalty payments it makes to its mother company are exempt from the value-added tax, both during the six-year income tax holiday (ITH) period extended by the Philippine Economic Zone Authority and after the lapse of the ITH, should it choose to pay a 5% final tax on its gross income earned in lieu of all national and local taxes in accordance with Section 24 of RA 7916.
[DatePublished] => 2002-08-05 00:00:00
[ColumnID] => 133272
[Focus] => 0
[AuthorID] =>
[AuthorName] =>
[SectionName] => Business As Usual
[SectionUrl] => business-as-usual
[URL] =>
)
)
)
abtest