Cross-border investment tax

With the development of China’s economic growth and the promotion of the comprehensive power of the enterprises, more and more domestic enterprises begin to go abroad and invest in the foreign market. Meanwhile, the Chinese enterprises have accelerated the pace of abroad expansion due to the constraints of the technology and resource, as well as the cost rising of the domestic raw materials and labor.

Nowadays, the Chinese enterprises generally lack the experience of the outbound investment, and may encounter many complicated risks and challenges. The outbound investment tax team of M&T Lawyers has rich international tax knowledge and experiences, and established well cooperation relationship with many international tax service providers. These enable us to render the clients excellent advices. To be specific, our outbound investment tax team can provide the following services:

*Advise the alternative investment structure or financial approaches;

*General tax rules investigation and advice to the investment destination;

*Advise the alternative location of SPV;

*Profit repatriation approaches planning;

*Advise the alternative investment exit approaches;

*Identification and avoidance of the overseas registered PRC tax resident;

*Foreign tax credit.

Case Presentation

Provided tax compliance consulting for new investment and cross-border restructuring business of a European technology company;

Provided consulting services for a Korean investment company on tax-related issues related to QFII business, and assisted in communicating with relevant departments;

Provided consulting services for the overseas listing structure construction of a new Internet enterprise in Beijing, improve the tax compliance path for subsequent equity transfer or stock reduction of its employee shareholding platform and founder shareholding platform, and assist in the declaration of Announcement No. 7 and tax payment of indirect equity transfer;

Provided tax consulting services for the overseas investment structure of a Shanghai cultural company, and assist it to make reasonable use of the preferential policies of Hainan Free Trade Port for overseas investment and the tax treaties (arrangements) of relevant countries and regions;

Provided tax-related services for the overseas indirect shareholders of a Beijing enterprise to transfer equity overseas, assist them in sorting out the transaction structure and steps, and complete the subsequent indirect transfer of equity tax declaration No. 7.

Professional Team

LIBIN WU

DIRECTOR OF A LAW FIRM,SENIOR PARTNER

M&T Lawyers Beijing Office

Perennial tax advisor, Tax preference, Tax dispute resolution, HNWI TAX, Transfer Pricing and Anti Tax Avoidance

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ZHIQUN SHI

SENIOR PARTNER,DIRECTOR OF RESEARCH CENTER

M&T Lawyers Beijing Office

Perennial tax advisor, Tax preference, Tax dispute resolution, HNWI TAX, Transfer Pricing and Anti Tax Avoidance

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TING YUE

SENIOR LAWYER

M&T Lawyers Beijing Office

Tax dispute resolution, Transfer Pricing and Anti Tax Avoidance, Cross-border investment tax, Import and export tax, Life Sciences and Medical Health

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