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    Thailand Tax Update: COVID-19 and Tax Relief Measures in Thailand
    2020-04-21

    Due to the global crisis caused by the COVID-19 pandemic, the Thai Government has implemented a number of important initiatives aimed at supporting the Thai economy and affected industries.

    As part of these initiatives, the Ministry of Finance of Thailand has enacted several important short terms and medium terms tax relief measures to support individual and corporate entities in Thailand to ease the hardships faced by many during these uncertain times. Set out below is a summary of these measures.

    Defer tax filings and payments

    Filed under:
    Thailand, Company & Commercial, Insolvency & Restructuring, Public, Tax, Trade & Customs, Kudun & Partners Ltd, Value added tax, Income tax, Withholding tax, Tax deduction, Deferred tax, Coronavirus
    Authors:
    Saravut Krailadsiri
    Location:
    Thailand
    Firm:
    Kudun & Partners Ltd
    Introduction of financial measures in support of businesses facing the Covid-19 crisis
    2020-04-07

    Hogan Lovells Publications | 07 April 2020

    Introduction of financial measures in support of businesses facing the Covid-19 crisis

    Faced with the impact of the Covid-19 health crisis on the local and European economy, the President of the French Republic and the government announced several emergency measures in order to support businesses in difficulty.

    Filed under:
    France, Banking, Company & Commercial, Employee Benefits & Pensions, Insolvency & Restructuring, Insurance, Public, Real Estate, Tax, Trade & Customs, Hogan Lovells, Tax credit, Value added tax, Deferred tax, Coronavirus, European Commission
    Location:
    France
    Firm:
    Hogan Lovells
    Do purchasers of tax sale certificates under New Jersey state law qualify as holders of "tax claims" under federal bankruptcy law?
    2010-07-06

    Chapter 11 of the United States Bankruptcy Code is intended to allow financially stressed debtors to restructure their debt obligations through a plan of reorganization. Typically, a Chapter 11 plan places different types of claims in different classes and, subject to various requirements of the Bankruptcy Code, allows the debtor to pay only portions of the claims (and in certain circumstances not to pay certain claims at all). Moreover, the Bankruptcy Code allows a debtor the flexibility to structure a plan to defer the payment of certain claims.

    Filed under:
    USA, New Jersey, Insolvency & Restructuring, Litigation, Tax, Lowenstein Sandler LLP, Bankruptcy, Debtor, Interest, Debt, Deferred tax, US Congress, Title 11 of the US Code, United States bankruptcy court, Third Circuit
    Location:
    USA
    Firm:
    Lowenstein Sandler LLP
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