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Notice On Holding The Second Tax Policy Seminar On Foreign Funded Enterprises

2010/6/13 16:13:00 57

Notice

Relevant units:


On March 16, 2007, the five session of the ten National People's Congress voted through People's Republic of China. enterprise The income tax law means that our country will gradually say goodbye to corporate income tax. Double track The era. The enterprise income tax law sets the income tax rate of domestic and foreign enterprises at 25%, and will take effect from January 1, 2008. The key issues of the new tax law, such as the actual tax burden level, the transitional period, preferential policies and anti avoidance measures, have been determined, and the implementation rules are basically in place. The new preferential tax system will be established with "preferential industries and regional concessions as the supplement". For this reason, enterprises should embark on business strategy adjustment planning and tax planning preparation as early as possible.


In order to make foreign enterprises understand the guiding ideology, principles, main contents, the impact on foreign-related enterprises, and the adjustment of tax policies of foreign-funded enterprises, I invited the main grass expert of the Legislative Affairs Office of the State Council, the Ministry of Finance and the State Administration of Taxation on the enterprise income tax law to successfully hold the first phase of the seminar on the reform and implementation of the "two tax combinations" and the implementation of the tax policy on foreign enterprises in Beijing on 20-21 April 2007. At the request of the vast number of enterprises, our bureau will hold the second issue in Shanghai on 25-26 May 2007. Corporate income tax Seminar on the reform and implementation of the merger of two taxes and tax policy for foreign funded enterprises.


The details of the meeting will still be handed over to the Cci Capital Ltd of the China Foreign Economic and trade consultative company, Beijing, China. After receiving the notice, please confirm the list of the participants as soon as possible and fill in the application form clearly before returning it for arranging.


April 24th, two, seven


The second stage of the reform and implementation of the "two taxes combination" of enterprise income tax and the seminar on tax policy of foreign funded enterprises


I. meeting time and place: 25-26 May 2007, Shanghai


Two. Contents of the meeting:


Main contents of the draft new enterprise income tax law


The core content of the new draft enterprise income tax law


Adjustment and implementation rules of preferential policies for enterprise income tax


The determination of taxpayer, tax scope and tax rate in the new enterprise income tax law


The total amount of taxable income, taxable income and special tax adjustment


Project and implementation of source withholding, collection management and income tax adjustment


Analysis of the difference between the new enterprise income tax law and the new enterprise accounting standards and the corresponding tax adjustment


Introduction to the drafting of implementing rules for enterprise income tax law


Comparison of income tax law between new and old enterprises and Countermeasures of foreign funded enterprises


How to make use of industrial preferential policies and the right way to adopt transitional period in high and new technology enterprises


The best tax plan for the new and old high-tech enterprises in the transition period between 2008 and five years ago


The tax policy and the best choice for the five years' transition period of the original preferential tax policies for foreign-funded enterprises


Ways and means for foreign capital enterprises to choose new preferential tax policies after 2008


Changes in the standard of pre tax deduction in new tax law (wages, advertising, research and development, donation, depreciation and amortization).


How should enterprises cope with the transformation of preferential policies established by the new tax law?


New enterprise income tax law and transfer pricing and anti tax avoidance


The impact of the new tax law on the transfer pricing and anti tax avoidance in China


Content analysis of transfer pricing and anti tax avoidance in new tax law


How to avoid tax by offshore registration and return investment under the new tax law


Introduction of tax avoidance work in China's tax departments


Principles and methods of transfer pricing audit and adjustment


Should an enterprise sign an advance pricing agreement with the tax authority (APA)?


Main contents of the regulations on data management of business transactions between affiliated enterprises


The latest export tax rebate policy


Introduction of the adjustment of China's export tax rebate policy in 2007


Declaration procedure, calculation method, tax refund method and application scope of export refund (Exemption) tax


Three. Principal speakers:


The Legislative Affairs Office, the Ministry of Finance and the State Administration of Taxation of the State Council


Four, invite participants:


The chief financial officer, chief financial officer, financial manager, tax chief (consultant) chief accountant, company legal adviser, lawyer, law firm, accounting firm, investment advisory service institution, tax agent company, finance and taxation professional institution, teaching and research institution


Five, the way of registration:


Telegram: 010-84493089, 84493090 (Conference)


010-85226485 (Ministry of Commerce, Foreign Trade Development Bureau)


Chuan Zhen: 010-84493088


Source: Ministry of Commerce

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