Treaty between Hong Kong and France – branch remittance tax in France exempted
The imposition of branch remittance tax on income earned in France by a Hong Kong resident company was clarified by the Inland Revenue Department on 27 December 2012.
Income earned in France by a foreign company is deemed to be distributed to a foreign resident under the French Tax Code and, in the absence of the treaty, a 25% withholding tax (branch remittance tax) is levied on that after-…
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