Holder in due course and Repatriated: Difference between pages
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''Tax'' | |||
The term 'repatriated' refers to the return of profits, cash, or other valuable assets to the jurisdiction of origin or control. | |||
For example, repatriated profits are generally ones which have been transferred to the country of the beneficial owner of the business. | |||
Repatriated profits may be subject to additional tax when they are repatriated, subject to any relevant tax relief. | |||
== See also == | == See also == | ||
* [[ | * [[Control]] | ||
* [[ | * [[Double taxation relief]] | ||
* [[ | * [[Jurisdiction]] | ||
* [[ | * [[Withholding tax]] | ||
[[Category: | [[Category:Accounting,_tax_and_regulation]] | ||
[[Category:The_business_context]] |
Latest revision as of 10:47, 6 February 2019
Tax
The term 'repatriated' refers to the return of profits, cash, or other valuable assets to the jurisdiction of origin or control.
For example, repatriated profits are generally ones which have been transferred to the country of the beneficial owner of the business.
Repatriated profits may be subject to additional tax when they are repatriated, subject to any relevant tax relief.