For More Information Please Contact GBI at Tel +86 21 6160 1161 Fax +86 21 6146 9308
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| General |
| Business Intelligence |
| Delivering a Source of Advantage |
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China TAX Planning
2008
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Meet you during :
Monday 24 & Tuesday 25, March 2008
Holiday Inn Central Plaza, Beijing, China |
Summarize CIT Law execution during the first quarter since effective. Look into subsequent Tax Circulars and Transfer Pricing updates.
OUR INVITATION GOES TO
- Senior executives specialized in
- Tax/
- Finance/
- Accounting/
- Banking/
- Logistics/ Supply chain
- from MNCs and local giants
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WE WILL HIGHLIGHT
- Tax residence, Tax Rate, Appli cable enterprises
- Changes on Current Major Preferen tial Tax Treatments
- Companies and industries to be impacted
- Tax condiserations in Company restructuring
- Anti-advoidance Measures and Specific clause on TP and related party
- Coperate Tax Planning and Structuring
- Clarifications needed on certain words
- Practicalities and complexity in implementation
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WE WOULD LIKE TO INTRODUCE THEM TO YOU
Tax Professionals
- International Tax, SAT
- Income Taxes Dept., SAT
- Policy and Legislation., SAT
Tax Professionals
- Russell Brown, Lehmanbrown
- Yu Qisheng, PwC
- Wendy Guo, PwC
- Cindy Li, Microsoft
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| Chief Supporting Organization |
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| DAY 1 |
24th March Monday |
Holiday Inn Central Plaza Beijing,China |
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08:15 REGISTRATION
08:45 CHAIRPERSON’s OPENING ADDRESS
| 09:00 KEYNOTE PRESENTATION |
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| Insight into the New CIT Law and its implementing details
New CIT Law has established a new system of preferential tax treatments; Treatment of existing tax incentives and the transitional rules; Re-defining taxpayer;Introduction of “tax resident” and “non-tax resident” concepts to differentiate taxpayers; enhancing and strengthening anti-tax-avoidance rules.
* Terms need to be clarified
* Tax collection and management frame under new CIT Law
* Transition period
10:00 FQAs Session
Deputy Director-General
Policy and Legislation Dept. SAT
Mr. Yang Yuanwei is responsible for setting up national taxation mechanism, completing tax legislation system, studying in tax policies continuity.
He is specialized in analyzing the burden of taxation system and taxation collection structuring.
Mr. Yang published a lot of articles related to Chinese tax developments overview. |
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10:30 MORNING REFRESHMENTS
| 11:00 KEYNOTE PRESENTATION |
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| Important aspects that need to be get clarified in the CIT regulations with particular emphasis on those that may have impact on tax incentives and restructuring.
Given the widespread implications of the new CIT Law to foreign investors’ operations in China, it is critical for management to carefully analyse what these impacts are and design appropriate strategies. How can foreign investment enterprises qualify for tax incentives under the new income tax regime and what are the implications in satisfying the new parameters, what are the transitional relief under grandfathering, and is their current holding structure still the best structure ?
* General Provisions and taxable Income
* Tax incentives past, present and future.
* Withheld taxes and other taxes, and implications on structure.
* Q&A
Russell Brown, ManagingPartner
Tax and Business Advisory Services LehmanBrown International Accountants |
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12:30 LUNCHEON
| 14:00 KEYNOTE PRESENTATION |
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| Is year 2008 a MESS ?!
— The Enterprise Income Tax Law of the People’s Republic of China was promulgated on March 16, 2007 and shall come into force as of January 1, 2008.
— China’s State Council on November 29 passed a draft of regulations aimed at helping to enforce the country’s new corporate income tax law to ensure the implementation of the new law.
— There will be cancellation of Certain Preferential Policies. Hunderds of tax cirluars will come out
* Explainations on upcoming circulars
* What will the SAT’s position be regarding legal vs. economic ownership of intangibles?
15:00 FQAs Session
Deputy Director-General
International Tax Dept. SAT |
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16:00 AFTERNOON REFRESHMENTS
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| Grey areas in the new CIT Law system
As a tax professional, you might wondering China State Council will decide that when the new Corporate Income Tax Law takes effect on 1 January 2008, dividend distributed by Foreign Invested Enterprises (“FIEs”) to their foreign investors will no longer enjoy tax exemption, and will be subject to possibly a 10% withholding tax. Any updates on this matter? Or, for a foreign company with losses from the past years, are they allowed to carryforward the losses to future years to offset profit after the new tax law takes effect on January 1, 2008? Too many grey area need to be clear….. , in this session we are going to discuss some hot issues as follows,
* Expense Deduction
— Advertising and Promotion Expense
— Entertainment Expense
— Management Fee
— Sponsorship Expense
— Non Deductibility of Commercial Insurance Premium
* Withholding Tax
* Tax Exempt Income
* Key State Supported High-tech Enterprise
* Venture Investment Enterprise
* Others
Deputy Director
International Tax Dept. SAT |
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1730 END OF DAY ONE
CLOSING REMARKS BY CHAIR |
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| DAY 2 |
25th March Tuesday |
Holiday Inn Central Plaza Beijing,China |
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08:30 RE-REGISTRATION
08:45 CHAIRPERSON’s OPENING ADDRESS
| 09:00 KEYNOTE PRESENTATION |
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| Look into the problems and challenges occurred during the first quarter of 2008
New passed CIT Law leaves many uncentainty. Numerous circulars need to be followed up. This keynote session looks at the latest developments of the Tax Reform and the Unification Coperate Income Tax for domestic and foreign enterprise.
* Tax collection and Taxation management focus in the year 2008
* Problem summary
* How to narrow the gap between domestic compa nies and FIEs
* Preferential areas
— 5 + 1 special zones and western area
* Tips
10:00 FQAs Session
Director – General
Income Tax Dept. SAT |
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10:30 MORNING REFRESHMENTS
| 11:00 KEYNOTE PRESENTATION |
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| Transfer Pricing under the new CIT law
Article 41 of the New CIT law permits sharing of the cost incurred in joint development and transfer of intangibles assets, or joint provision and acceptance of labour services by Enterprises and their affiliates under the independent transaction principle in computing the taxable income. Current draft implementation rules suggest the use of cost contribution or anticipated benefit ratios to share cost.
* Arm’s Length Standard
* Cost Sharing
* APA
* Disclosure and Documentation
* ObligationsAuthority to Deem Profit
* Interest Expense Deductibility Considering Thin Capitalization Rules
* Interest on Owed Tax
* Q&A
Yu Qisheng, Partner
Transfer Pricing, PricewaterhouseCoopers |
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12:00 LUNCHEON
| 14:00 KEYNOTE PRESENTATION |
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| Anti – Advoidance updates and TP developments
Recently the SAT is enhancing anti-avoidance They also strengthen negotiation, signing, surveillance and implementation of APA work to set up a comprehensive relatedparty transactions analysis system. In the CIT law and its implementing regulations they are some points need to be noted:
* Current transfer pricing law frame
* Gap beween China and advanced countries on anti-avoidance
* Legislative updates
* Anti – advoidance progress in China
* Interest on Owed Tax
15:00 FQAs Session
Deputy Director
Anti – Advoidance, International Tax Dept. SAT |
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15:30 AFTERNOON REFRESHMENTS
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| How to Face the Tax Audit and Investigation under newCIT law Era
Documentation Requirements are in final draft stage. Recently, intangible transactions have been a major focus. The State Administration of Taxation (“SAT”) have recently commenced a nation-wide tax audit exercise focusing primarily on royalty payments made by Chinese companies to overseas affiliates.
* Recent enforcement oncorporate tax
* Criteria of targets selection
* How a tax player handle the tax audit
* Grab the motive and agenda for the tax authorities
* Good preparations for the tax officials
* Performing a tax- risk assessment of the FIEs or representative offices
* Other issues
* Q&A
Deputy Director, Anti – Advoidance, SAT
Yu Qisheng, TP Partner, PwC
Cindy Li, Tax Director, Microsoft Greater China Cindy has more than eighteen years of professional tax experience in both government (1988-1995, SAT) and business areas.
As a tax director of Microsoft, in charge of PRC as well as Microsoft HK’s tax matters. Responsible for all tax consulting projects and supervise tax compliance work as well. Accumulate rich experience in IT industry. |
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1730 END OF DAY ONE
CLOSING REMARKS BY CHAIR |
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For More Information Please Contact GBI at Tel +86 21 6160 1161 Fax +86 21 6146 9308
www.gbigroup.com