CCS

9: The principle of Territorial cum Residence Jurisdiction

The principle of Territorial cum Residence Jurisdiction – PDF 1. The principle of Territorial cum Residence Jurisdiction refers to the taxation jurisdiction of a country that simultaneously exercises both Territorial [source jurisdiction] Jurisdiction and Residence Jurisdiction. 2. It can be further divided into: 👉 Territorial-Citizen Jurisdiction, 👉 Territorial-Residence Jurisdiction; and 👉 Territorial-Residence-Citizen Jurisdiction. 3. Foreign-sourced […]

11: Double Taxation vs Double Non-taxation

Double Taxation vs Double Nontaxation – PDF 1. If the conflicting claims for tax revenue based on residency and source are not addressed effectively, it would result in Double Taxation, which will stymie international companies and investment. 2. While multinational businesses may suffer double taxes, they also have possibilities for international tax avoidance (sometimes referred […]

12: The International Double Taxation – Legal

The International Double Taxation – Legal – PDF 1. Two basic concepts that are also essential reasons/causes of international juridical double taxation are at the heart of international taxation concerns. 👉 The terms “source” and “residence” are used to describe these two concepts. 👉 Both concepts are derived from laws in domestic tax legislation that […]

13: Methods used by Resident Countries to Cope with Double Taxation

1. Budget 2022 was tabled in Parliament on 29 October 2021, one of the amendments to the Income Tax Act 1967 is: 👉 Foreign-sourced income received in Malaysia will be taxed from January 1, 2022. 2. Then, everyone noticed a lot of relevant news or posts on social media 3. I’m also keeping track of […]

14: The International Double Taxation – Economic

The International Double Taxation – Economic – PDF 1. Yesterday, George Tan enquired, “How will future dividends received from Singapore be taxed?” 2. To be honest, this is an interesting question that cannot be answered succinctly in a few lines. 3. The taxation of dividends has its origins in the classical tax system, which in […]

10: Special Income Remittance Programme to Malaysian Residents

1. In a statement issued on November 16, 2021, IRB said this Special Income Remittance Programme to Malaysian Residents (“PKPP” was in line with Finance Minister Tengku Datuk Seri Zafrul Tengku Abdul Aziz’s announcement in the Budget 2022 that the tax exemption for foreign sources of income will be removed. 2. According to the programme, […]

1: What Is International Tax?

What Is International Tax? – PDF 🌻🌻🌻🌻🌻🌻🌻🌻🌻🌻🌻 1. 2022年预算案提出: 👉 从2022年1月1日起, 👉 在马来西亚收到的源自外国的收入 👉 将在马来西亚缴纳所得税。 2 . 为了方便起见,我们在分享中使用了 “国际税收”一词,”国际税法”是特定国家应对国际间的所得税法。 🌼🌼🌼🌼🌼🌼🌼🌼🌼🌼 #税法之道博大精深,#建议大家深度学习 🌸🌸🌸🌸🌸🌸🌸🌸🌸🌸 🌼🌼🌼🌼🌼🌼🌼🌼🌼🌼 #InternationalTax #国际税收系列 1. Issue No. 103/2021: Finance Bill 2021 Highlights – No more Exemption on Foreign Sourced Income remitted to Malaysia [2021年财政法案亮点 – 源自外国汇入马来西亚的收入,不再获得豁免] https://lnkd.in/eCS24pA3 2. What Is International Tax? [什么是国际税收] https://lnkd.in/eiuiC4f4 […]

2: International Organizations involved In International Tax – OECD

1. Despite the fact that sovereign nation-states are largely responsible for creating the rules of the international tax system through domestic law and tax treaties, other international organisations play a significant role in international tax. 2. The OECD, the International Monetary Fund (IMF), the United Nations (UN), and the World Bank Group (WGB) are the […]

3: International Organizations involved In International Tax – Group of Twenty

1. The Group of Twenty (G20) and the OECD initiated a cooperative endeavour in 2012 to combat Base Erosion and Profit Shifting (“BEPS”). 2. The OECD’s Action Plan on BEPS was released in 2013, outlining a robust agenda with fifteen specific action items; the final reports were released in October 2015. (available at www.oecd.org). 🌻🌻🌻🌻🌻🌻🌻🌻🌻🌻🌻 […]