aafter they were removed from the press 正在翻译,请等待...[translate] awere present in the strawboard.[translate] aCeasing to be a Temporary Resident of Australia for tax purposes 停止是澳洲的一位临时居民为税目的[translate]
asee...doing... 看…做…[translate] alibels ling 誹謗石楠 [translate] aTHE FUTURE OF CITY LE FUTUR DE LA VILLE[translate] abeing a resident of australia for income tax purposes within the meaning of the australia 是澳洲的居民为所得税目的在澳洲之内的意思[translate]...
This is the case in Australia where 'Australian residents for tax purposes' must pay income tax on their worldwide income including statutory income such as capital gains and dividends. If the government of a country adopts a 'worldwide' basis for imposing income tax on its residents then the...
Theparkis apopularmeetingplaceforlocalresidents. someone whostaysin ahotel: Thehotelbarwas onlyopento residents. LAW apersonwho has thelegalrighttolivein aparticularcountrythat they were notbornin: You will beconsidereda US resident fortaxpurposes. ...
However, as we’ve outlined above, being non-resident for tax purposes doesn’t necessarily mean you aren’t liable to pay tax in that country. So, does this mean you need to file two tax returns? Probably – but the kind of tax declaration will depend upon the rules of each country....
Jock McCormack of DLA Piper Australia summarises Australia’s latest proposed double tax agreement as the country’s treaty reforms gather pace, and potential changes to the non-resident capital gains tax withholding rate and threshold
Relevant Jurisdiction means, with respect to a party, the jurisdictions (a) in which the party is incorporated, organised, managed and controlled or considered to have its seat, (b) where an Office through which the party is acting for purposes of this Agreement is located, (c) in which ...
the Commonwealthmeans the Commonwealth of Australia as the party to this agreement; Commonwealthmeans the Commonwealth of Australia and includes the Government for the time being thereof; AT&T MISSOURImeans the AT&T owned ILEC doing business in Missouri. ...
Tax perspective. This paper addresses the questions whether the provisions of the freedom of secondary establishment require the origin and host states provide identical treatment with regard to subsidiary (resident for tax purposes) and permanent establ... Olga P. Kokoulina - 《Law & Political ...
aAn investment in the Fund should not of itself result in the Investor being considered to be a tax resident of Australia. 一种投资在资金在投资者不应该本身结果被认为澳洲的税居民。[translate]