The Enterprise Income Tax (EIT) law, which came into effect on January 1, 2008, included many significant changes for foreign investors. These changes affect many non-residents engaged in business activities in China, whether those activities are in the form of cross-border services, exchanges of tangible goods, transfers of intangible property rights or financial assets, sourcing activities, or investments in China enterprises that process goods or perform other business functions. If you are interested to get a copy of the article, contact me.
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