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Taxation
Management FIN 623
VU
MODULE
5
LESSON
5.18
RESIDENTIAL
STATUS & TAXATION
Taxation
of Foreign-Source Income of
Residents:
Foreign
Source Salary of Resident
Individuals Sec.
102
(1)
Any foreign-source salary received by a
resident individual shall be
exempt from tax if the individual
has
paid
foreign income tax in respect of the
salary.
(2) A
resident individual shall be
treated as having paid foreign income tax
in respect of foreign-source
salary
if tax has been withheld
from the salary by the individual's
employer and paid to the revenue
authority
of the foreign country in which the
employment was exercised.
Foreign
losses Sec.104: Deductible
expenditures incurred by a person in
deriving foreign-
source
income chargeable to tax under a head of
income shall be deductible only
against that
income.
Taxation
of Non-Residents
Taxation
of a permanent establishment in Pakistan of a
non-resident person Sec.
105:
(1)
The following principles shall apply in
determining the income of a permanent
establishment in
Pakistan
of a non-resident person chargeable to tax under the
head "Income from
Business",
namely:
· The
profit of the permanent establishment
shall be computed on the basis that it is
a distinct and
separate
person engaged in the same or
similar activities under the same or
similar conditions
and
dealing
wholly independently with the non-resident
person of which it is a permanent
establishment;
Taxation
of Non-Residents-Deductions
Subject
to this Ordinance, there shall be allowed as
deductions any expenses incurred
for the
purposes
of the business activities of the
permanent establishment including
executive and
administrative
expenses so incurred, whether in Pakistan or
elsewhere;
No deduction
shall be allowed for amounts paid or
payable by the permanent establishment
to
its
head office or to another permanent
establishment of the non-resident person
(other than
towards
reimbursement of actual expenses incurred
by the
non-resident
person to third
parties)
by way of:
Royalties,
fees or other similar
payments for the use of any
tangible or intangible asset by
the
permanent
establishment
· Compensation
for any services including
management services performed
for the
permanent
establishment; or
· Profit
on debt on moneys lent to the
permanent establishment, except in
connection
with a
banking business; and
Taxation
of Non-Residents Deductions
· Compensation
for any services including
management services performed by the
permanent
establishment;
or
· Profit
on debt on moneys lent by the
permanent establishment, except in
connection with a
banking
business.
No
account shall be taken in the
determination of the income of a
permanent establishment of
amounts
charged by the permanent establishment to
the head office or to another
permanent
establishment
of the non-resident person (other than
towards reimbursement of actual
expenses
incurred by the
permanent establishment to third
parties) by way of:
Royalties,
fee or other similar
payments for the use of any
tangible or intangible asset;
(2) No
deduction shall be allowed in computing the
income of a permanent establishment in
Pakistan
of a non-resident
person chargeable to tax under the head
"income from Business" for a
tax year
for
head office expenditure in excess of the
amount as bears to the turnover of the
permanent
establishment
in Pakistan the same proportion as the
non-resident's total head
office expenditure
bears
to its worldwide
turnover.
26
Taxation
Management FIN 623
VU
(3) In
this section: head office expenditure:
means any executive or
general administration expenditure
incurred by the
non-resident person outside Pakistan
for the purposes of the business of
the
Pakistan
permanent establishment of the person,
including
(4) No
deduction shall be allowed in computing the
income of a permanent establishment in
Pakistan
of a non-resident
person chargeable under the head
"Income from Business"
for-
· Any
profit paid or payable by the non-resident
person on debt to finance the operations
of the
permanent
establishment; or
· Any
insurance premium paid or payable by the non-resident
person in respect of such
debt.
· Any
rent, local rates and taxes excluding
any foreign income tax,
current repairs, or insurance
against
risks of damage or destruction outside
Pakistan;
· Any
salary paid to an employee employed by
the head office outside
Pakistan;
· Any
traveling expenditures of such
employee; and
· Any
other expenditure which may be
prescribed.
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