[null] Which taxes bóng đá hôm nay trực tiếp Vietnam must individuals who are foreign contractors pay? [null] [null]

Which taxes bóng đá hôm nay trực tiếp Vietnam must individuals who are foreign contractors pay?

Which types of taxes must individuals who are foreign contractors pay when conducting business bóng đá hôm nay trực tiếp Vietnam?

Which taxes bóng đá hôm nay trực tiếp Vietnam must individuals who are foreign contractors pay?

According to the regulations bóng đá hôm nay trực tiếp Article 5Circular 103/2014/TT-BTC:

Applicable Taxes

1. Foreign contractors and foreign subcontractors as business organizations are subject to value-added tax (VAT), corporate income tax (CIT) as guided bóng đá hôm nay trực tiếp this Circular.

2. Foreign contractors and foreign subcontractors as foreign individuals bóng đá hôm nay trực tiếp business are subject to VAT as guided bóng đá hôm nay trực tiếp this Circular and personal income tax (PIT) under the law on PIT.

3. For other types of taxes, fees, and charges, foreign contractors and foreign subcontractors shall comply with the relevant current legal documents on taxes, fees, and charges.

Thus, foreign individual contractors are required to pay the following taxes: VAT as guided bóng đá hôm nay trực tiếp this Circular, and PIT according to the law on PIT.

What taxes do foreign bóng đá hôm nay trực tiếpdividual contractors have to pay?

Which taxes bóng đá hôm nay trực tiếp Vietnam must individuals who are foreign contractors pay?(Image from Internet)

Which entities subject to VAT regarding foreign organizations and individuals doing business bóng đá hôm nay trực tiếp Vietnam?

entities subject to VAT regarding foreign organizations and individuals doing business and earningin Vietnam as stipulated bóng đá hôm nay trực tiếp Article 6Circular 103/2014/TT-BTCare as follows:

* Services or services attached to goods subject to VAT provided by foreign contractors and foreign subcontractors based on contractor contracts and subcontractor contracts for consumption, production, and business bóng đá hôm nay trực tiếp Vietnam (except for cases specified bóng đá hôm nay trực tiếp Article 2Circular 103/2014/TT-BTC), including:

- Services or services attached to goods subject to VAT provided and consumed bóng đá hôm nay trực tiếp Vietnam by foreign contractors and foreign subcontractors.

- Services or services attached to goods subject to VAT provided outside Vietnam by foreign contractors and foreign subcontractors but consumed bóng đá hôm nay trực tiếp Vietnam.

* bóng đá hôm nay trực tiếp cases where goods are provided under contract forms where the delivery point for goods is within Vietnam territory (except for cases specified bóng đá hôm nay trực tiếp Clause 5, Article 2Circular 103/2014/TT-BTC);

Or bóng đá hôm nay trực tiếp cases where the goods supply includes services performed bóng đá hôm nay trực tiếp Vietnam such as installation, trial run, warranty, maintenance, replacement, and other accompanying services (including cases where these services are provided for free), even if the service values are or are not included bóng đá hôm nay trực tiếp the goods supply contract value:

The goods value is only subject to VAT at the importation stage as stipulated. The value of services is subject to VAT as guided bóng đá hôm nay trực tiếpCircular 103/2014/TT-BTC.

bóng đá hôm nay trực tiếp cases where the contract does not separately outline the goods value and the accompanying services value (including cases where these services are provided for free), the VAT is calculated for the entire contract.

What is the taxable income for CIT of foreign organizations and individuals doing business bóng đá hôm nay trực tiếp Vietnam?

According to Article 7Circular 103/2014/TT-BTC, taxable income for CIT of foreign organizations and individuals doing business bóng đá hôm nay trực tiếp Vietnam includes:

(1). Taxable income for CIT of foreign contractors and foreign subcontractors is income generated from supplying, distributing goods; providing services, services attached to goods bóng đá hôm nay trực tiếp Vietnam based on contractor contracts and subcontractor contracts (except for cases specified bóng đá hôm nay trực tiếp Article 2 Chapter ICircular 103/2014/TT-BTC).

(2). bóng đá hôm nay trực tiếp cases where goods are supplied under contract forms where the delivery point for goods is within Vietnam territory (except for cases specified bóng đá hôm nay trực tiếp Clause 5 Article 2 Chapter ICircular 103/2014/TT-BTC); or where the goods supply includes certain services performed bóng đá hôm nay trực tiếp Vietnam such as advertising, marketing, trade promotion, after-sales services, installation, trial run, warranty, maintenance, replacement, and other accompanying services (including cases where these services are provided for free), even if the service values are or are not included bóng đá hôm nay trực tiếp the goods supply contract value, the taxable income for CIT of foreign contractors and foreign subcontractors is the entire goods and services value.

(3). Generated income bóng đá hôm nay trực tiếp Vietnam by foreign contractors and foreign subcontractors is the income received bóng đá hôm nay trực tiếp any form based on contractor contracts and subcontractor contracts (except for cases specified bóng đá hôm nay trực tiếp Article 2 Chapter ICircular 103/2014/TT-BTC), regardless of the location where the business activities are carried out by foreign contractors and foreign subcontractors.

Taxable income for foreign contractors and foreign subcontractors bóng đá hôm nay trực tiếp some specific cases includes:

- Income from the transfer of ownership, right to use assets; transfer of the right to participate bóng đá hôm nay trực tiếp economic contracts/projects bóng đá hôm nay trực tiếp Vietnam, transfer of property rights bóng đá hôm nay trực tiếp Vietnam.

- Income from royalties which are income received bóng đá hôm nay trực tiếp any form for the right to use, transfer ownership of intellectual property rights, and technology transfer, including software copyright

(including: payments for the right to use or transfer copyright and ownership rights to works; transfer of industrial property rights; technology transfer, software copyright).

"Copyright and ownership rights to works", "Industrial property rights", and "Technology transfer" are defined bóng đá hôm nay trực tiếp the Civil Code, Intellectual Property Law,Technology Transfer Law 2017, and guiding documents.

- Income from the transfer, liquidation of assets.

- Income from loan interest: the income of lenders from any form of lending where the loan is or is not secured by collateral, where the lender does or does not share bóng đá hôm nay trực tiếp the profits of the borrower; income from deposit interest (excluding deposit interest of foreign individuals and deposit interest arising from deposit accounts maintained for activities bóng đá hôm nay trực tiếp Vietnam by representative offices of diplomatic agencies, representative offices of international organizations, non-governmental organizations bóng đá hôm nay trực tiếp Vietnam), including bonuses associated with deposit interest (if any); income from late payment interest bóng đá hôm nay trực tiếp accordance with contract terms; income from bond interest, bond discount (excluding tax-exempt bonds), Treasury bills; income from interest on deposit certificates.

Loan interest also includes any fees that Vietnamese parties must pay according to the contract.

- Income from stock transfers.

- Penalty charges and compensation received from a partner for contract violations.

- Other income as prescribed by law.

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