4 March 2010 (Thursday)
Embracing 2010, we would like to share with you a summary of milestone tax developments in China affecting non-China tax resident enterprises with business operations or investments in China. No one would disagree that 2009 was a challenging year for non-China tax resident enterprises. They were targeted by many stringent tax administration regulations and policies, namely on corporate restructuring, treaty benefit claims, and disclosure and compliance requirements. All these new measures, putting together, have clearly depicted the intention and determination of the Chinese tax authorities to put emphasis on "substance over form". This would inevitably deserve immediate attention of the non-resident enterprises to prepare themselves to react in 2010 when the implementation runs in.
In this webcast, we shared with you our observations, insights and suggestions for these developments in order to help you surf through the potential challenges.
Archived webcast
This is a 1 hour audio webcast including a Q&A session.
Webcast link:
http://www.thomson-webcast.net/cn/dispatching/?event_id=cd201397e080c3aebee82385eca1e2e1&portal_id=274ef8bd8dba7e9502353ac94067c21d
| Speakers: |
Wendy Guo, Tax Partner, PwC China Rex Chan, Tax Partner, PwC China |
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