There may be tax traps associated with making an investment into China via foreign intermediaries, but KPMG’s Abe Zhao and Conrad Turley show that, with sufficient advance planning, taxpayers can avail themselves of treaty relief measures.
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The flagship 2025 tax legislation has sprawling implications for multinationals, including changes to GILTI and foreign-derived intangible income. Barry Herzog of HSF Kramer assesses the impact
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