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    Legal flash - Shanghai office - April 2015 - Ministry of Finance and the State Administration of Taxation notice on individual income tax policies for individual non-monetary asset investment (CAISHUI [2015] No. 41)
    2015-05-11

    财政部国家税务总局关于个人非货币性资产投资有关个人所得税政策的通知)

    On March 30, 2015, the Ministry of Finance (“MoF”) and the SAT jointly released Caishui [2015] No. 41 (“Circular 41”) to expand nationwide the tax payment installment policy applicable in the Shanghai Free Trade Zone to income derived from non-monetary asset investment made by individuals.

    Circular 41 defines non-monetary asset investment and includes the contribution of non-monetary assets to establish a new company, to participate in company capital increase, private placement of stock, stock exchange and corporate restructuring.

    Filed under:
    China, Insolvency & Restructuring, Tax, Cuatrecasas, Income tax, State Administration of Taxation
    Location:
    China
    Firm:
    Cuatrecasas
    Legal flash - Shanghai office January 2015 - Notice of Ministry of Finance and State Administration of Taxation concerning enterprise income tax treatments for promoting corporate restructuring (Caishui [2014] no.109) (财政部、国家税务总局关于促进企业重组有关企 业所得税处理问题的通知)
    2015-02-10

    On March 7, 2014, the State Council released its Opinion on Further Optimizing the Market Environment for Corporate Merger and Restructuring (Guo Fa [2014] No. 14, “Circular 14”), to improve the institutional mechanisms and policies that encourage corporate mergers and restructuring. Circular 14 gives overall guidance on special treatments for merger and corporate restructuring transactions with regard to enterprise income tax (“EIT”), land value-added tax, value-added tax and business tax.

    Filed under:
    China, Corporate Finance/M&A, Insolvency & Restructuring, Tax, Cuatrecasas, Tax deferral, State Administration of Taxation
    Location:
    China
    Firm:
    Cuatrecasas
    Corporate law newsletter I October, 2015: case law
    2015-11-09

    Judgement No. 362/2015 - Official Gazette No. 186/2015, Series II of 09/23/2015

    The Constitutional Court ruled unconstitutional the provision of Article 100 of the Insolvency and Corporate Recovery Code, approved by Decree-Law No. 53/2004, of March 18, if interpreted as the declaration of insolvency provided therein suspends the limitation deadline of tax debts attributable to the responsible subsidiary responsible person according to the tax procedure.

    Judgment of the Supreme Court of 08/10/2015

    Filed under:
    Portugal, Company & Commercial, Insolvency & Restructuring, Tax, Cuatrecasas
    Location:
    Portugal
    Firm:
    Cuatrecasas
    Newsletter | Finance and Restructuring | 2nd quarter 2019
    2019-07-26

    From July 21, the reform of rules on prospectuses, intended to establish a common rulebook across the EU to encourage financing through capital markets, will directly apply in Spain.

    Filed under:
    European Union, Spain, Banking, Insolvency & Restructuring, Real Estate, Tax, Cuatrecasas, Mortgage loan, Stamp duty, European Commission, CJEU, Directorate-General for Competition (EU)
    Location:
    European Union, Spain
    Firm:
    Cuatrecasas
    Tax Law Newsletter (Portugal) | 2nd Quarter 2019
    2019-07-10

    The perspective of a ahot summer arriving is an excellent opportunity to take a look at the most relevant events that occured on the second quarter of 2019.

    On an international level, and in contrast with the previous quarters, few events are worth mentioning.

    Filed under:
    Portugal, Insolvency & Restructuring, Litigation, Private Client & Offshore Services, Real Estate, Tax, Cuatrecasas, Stamp duty, CJEU
    Location:
    Portugal
    Firm:
    Cuatrecasas
    Tax Law Newsletter (Portugal) - October 2016: National Case Law
    2016-11-11

    Supreme Administrative

    Court Judgement of October 12, 2016

    Case no. 0797/15

    In this Judgment, the Supreme Administrative Court concluded that expenses related to employees, recorded as remuneration, salaries or wages, relevant to the limit of 15% foreseen for acceptance of the expenses with social benefits referred to in Article 43.2 of the CIT Code, are not limited to those that were subject to mandatory Social Security contributions.

    South Central Administrative Court

    Judgement of October 13, 2016

    Filed under:
    Portugal, Arbitration & ADR, Employment & Labor, Insolvency & Restructuring, Litigation, Tax, Cuatrecasas
    Location:
    Portugal
    Firm:
    Cuatrecasas
    European perspective in brief
    2013-11-21

    Europe has struggled mightily during the last several years to triage a long series of critical blows to the economies of the 28 countries that comprise the European Union, as well as the collective viability of eurozone economies. Here we provide a snapshot of some recent developments regarding insolvency, restructuring, and related issues in the EU.

    Filed under:
    European Union, Netherlands, United Kingdom, Banking, Insolvency & Restructuring, Tax, Jones Day
    Location:
    European Union, Netherlands, United Kingdom
    Firm:
    Jones Day
    Euroresource--deals and debt
    2013-06-28

    Recent Developments

    Filed under:
    Argentina, Germany, United Kingdom, USA, Insolvency & Restructuring, Litigation, Tax, Jones Day, Debtor, Debt, HM Treasury (UK)
    Authors:
    Corinne Ball , Laurent Assaya , Dr. Olaf Benning , Víctor Casarrubios , Juan Ferré
    Location:
    Argentina, Germany, Macau, United Kingdom, USA
    Firm:
    Jones Day
    EuroResource--deals and debt
    2013-04-29

    Recent Developments

    Filed under:
    Argentina, France, United Kingdom, USA, Banking, Insolvency & Restructuring, Litigation, Tax, Jones Day, Bond (finance), Hedge funds, Debt, Default (finance), UNCITRAL, Second Circuit
    Authors:
    Corinne Ball , Laurent Assaya , David Roger , Dr. Olaf Benning , Víctor Casarrubios , Juan Ferré
    Location:
    Argentina, Cyprus, France, United Kingdom, USA
    Firm:
    Jones Day
    Euroresource—deals and debt
    2012-07-20

    Recent Developments

    Filed under:
    Belgium, Italy, Spain, United Kingdom, Banking, Competition & Antitrust, Insolvency & Restructuring, Litigation, Tax, Jones Day
    Authors:
    Corinne Ball
    Location:
    Belgium, Italy, Spain, United Kingdom
    Firm:
    Jones Day

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