Examples of 'permanent establishments' in a sentence
Meaning of "permanent establishments"
Permanent establishments refer to a fixed place of business where an enterprise carries out its business activities. It can include offices, factories, warehouses, and branches. In the context of international taxation, the concept of permanent establishments determines the taxing rights of a country over the profits of a foreign enterprise operating within its jurisdiction
How to use "permanent establishments" in a sentence
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permanent establishments
More information on permanent establishments in income taxation.
Report on the attribution of profits to permanent establishments.
Permanent establishments or other source principles.
Guidance issued on attribution of profits to permanent establishments.
Fiscal counselling for permanent establishments of multinational companies.
Permanent establishments in income taxation.
Of the losses of their permanent establishments and subsidiaries.
Permanent establishments and subsidiaries.
Foreign head office and foreign permanent establishments.
Profits of permanent establishments abroad.
O the attribution of profits to permanent establishments.
Permanent establishments of foreign businesses are subject to trade tax as well.
Administrative burdens and permanent establishments.
The profits of permanent establishments abroad are not subject to tax in Cyprus.
Payments made or received by permanent establishments.
See also
Attribution of profits to permanent establishments of insurance companies and current status of the project.
Support and administration of permanent establishments.
Extension to permanent establishments of the benefit of double taxation conventions concluded with third States.
Country codes where the foreign permanent establishments are located.
The Directive could also define the law applicable to triangular relationships involving permanent establishments.
Similar tax treatment applies to permanent establishments of foreign entities.
Consolidated subsidiaries would be treated in the same manner as permanent establishments.
The gross revenue of its permanent establishments outside Canada is excluded from this calculation.
Guidance on transfer pricing and profit allocation to permanent establishments.
Permanent establishments settled by non-resident entities.
Attribution of profits to permanent establishments.
Permanent establishments by the general rule or by a dependent agent in construction, building and installation.
The proposal covers the losses of permanent establishments and subsidiaries.
The OECD has released additional guidance on the attribution of profits to permanent establishments.
This approach includes the following permanent establishments and investee companies.
Special treatment of dividends received in respect of holdings owned by permanent establishments.
Attribution of profits to permanent establishments resulting from changes to article 5.
Increase with the number of subsidiaries branches or permanent establishments abroad.
Examples of permanent establishments for VAT purposes include,.
That is exactly the same as the second method proposed for permanent establishments.
Health licences granted to permanent establishments offering prepared food ;.
Some States consider that such special treatment should be accorded to permanent establishments.
A territorial tax system for foreign permanent establishments ( PEs ) has been introduced.
The adoption of the authorized OECD approach for the attribution of income to permanent establishments.
Action 7 sets out international guidelines on permanent establishments with respect to the following.
First, the arrangements in double taxation treaties, particularly in relation to permanent establishments.
List of resident entities, including permanent establishments and principal activities performed by each ;.
Many Member States already apply the credit method to permanent establishments.
List of resident entities ( including permanent establishments and main activities pursued by each of them ).
To be a national company, foreign company or permanent establishments.
Permanent establishments in Spanish territory belonging to non-resident persons or entities.
The distribution tax applies to resident companies and to permanent establishments of foreign companies.
Permanent establishments of non-resident companies located within Spanish territory.
Where an SE has one or more permanent establishments in a.
Belgian companies or permanent establishments of foreign companies Dividends distributed are subject to a 27 % withholding tax.
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