Need A Dip! Kodiak, Copenhagen.
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41
Thai - Cambodia Conflict Leicester City Backs Thailand Amid Border Tensions
Well, the maps that were created during the French Indochina Era were supposed to follow the natural watershed between Thailand, Laos and Cambodia, which is what was agreed upon by all parties. The area around that temple is on the Thai side of the watershed. For some reason the maps deviated in numerous places from the watershed line, amongst them in the disluted temole area. For some reason Thailand never disputed these maps for, but it's on Thai soil. -
61
What happened to Rock n Roll
Springsteen, just last month, amazing. And then there's Mick of course! -
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Alert! Bangkok Bank new rule money seasoning
One particular issue which, to the best of my knowledge, has not yet been raised in discussions on this issue is whether, in the case of the second scenario, the bank letter issued by BKKB will include an explicit statement that the account will then be frozen for 4 months. If so, this would, of course, mean that the funds on the frozen account would then not be freely available during the 4-month period in question, in violation of a specific IMM requirement - with the result that a consequential application for an annual retirement or marriage extension would then almost certainly be rejected. And, even if the BKKB letter didn't include any explicit statement to this effect, the word is surely likely to spread like wildfire of the bank's change of policy on the Immigration Bureau grapevine - with the result that ALL income confirmation letters issued by BKKB might then, at best, be viewed with suspicion by immigration officers. -
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My friend has an infection down there.
All vaginas have an odour, mostly pleasant ... but https://my.clevelandclinic.org/health/symptoms/17905-vaginal-odor -
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Finance Tax Break Bonanza: Thais to Benefit from New Foreign Income Rule
Referencing the Canada-Thai DTA: Article 13(4)(a) applies only to shares deriving >50% of their value from Canadian immovable property (e.g., real estate corporations). Most stocks sold do not meet this criteria, so Article 13(4)(a) does not apply. Article 13(5) states: "Gains from the alienation of any property, other than that referred to in paragraphs 1, 2, 3, and 4 above, shall be taxable only in the Contracting State of which the alienator is a resident." So if stocks are not covered by 13(4)(a), then Article 13(5) in the Canada-Thai DTA assigns taxation exclusively to Thailand (if that is one's country of tax residence) for Capital Gains. Hence these recent possibilities re: Thailand taxation on foreign income for those with Canadian capital gains from stocks held by Canadian financial institutions/brokerages could be very relevant to some long-in-the-tooth Thailand tax residents from Canada. This capital gains aspects in the Canada-Thai DTA also is true, for some LTR visa holder's (from Canada with Canadian capital gains on stocks) who are exempt Thailand tax on foreign investments . i should qualify this by also noting the Thai-Canada DTA has a clause (article XIII(6)) that Canada can still tax capital gains (earned on Canadian investments via Canadian brokerage) if one was a Canadian tax resident at any time in the preceding 6 years. This Canada-Thai DTA, I believe, is to stop people rushing to Thailand and selling their stocks in Canada, thinking it will be tax free. In fact nominally, when one departs Canada (to become a non-tax resident to Canada) one is supposed to make a 'on paper' disposition of the value of their stocks, where presumably if that amount is in profit from the original purchase price of the stock, then that portion of any profit is taxable by Canada. Honestly? for me? This gets very complicated, where 'one shoe' does not fit all in regards to Double Tax Agreements.
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