Foreign enterprise consulting case
◇Sorting out billing and settlement method for a Japanese-capital shipyard between it‘s affiliated company and domestic outfit company, making the shipyard fully duty rebated;
◇Assisting a Japanese-capital enterprises coordinating & negotiating with china tax department regarding complex tax affairs for deep processing to imported materials.
◇Providing investment and tax consulting for several Japanese companies to set up regional headquarters and R & D institutions.
◇Assisting a large Japanese-capital enterprises in processing Japanese employee’s personal income tax affairs in China.
Domestic enterprises consulting case:
In accordance with actual situation of clients, making tax planning in a reasonable range to maximize interests of shareholders. For example, in October 2001, in the procedure we provide business tax and deed tax consulting guidance for Separate Operation of a comprehensive insurance company, we creatively made the tax planning, which pushed Ministry of finance of P. R. China, and the State Administration of Taxation, in June 2002, jointly issued a new rule The notice about the tax policy for real estate transferring of insurance company’s Separate Operation reform. The document has been becoming the reference for reform of China telecommunications industry and other large state-owned enterprises.
Zip:201199
Tel:+86 21 5223 6738
Fax:+86 21 5223 6532
Email:wangbenliang@benliangcpa.com