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WRITTEN REPLY TO THE QUESTION CONCERNING THE DELINEATION OF ENTER-PRISE WITH FOREIGN INVESTMENT ENGAGING IN COMMUNICATIONS AND TRANSPORTA-TION
WRITTEN REPLY TO THE QUESTION CONCERNING THE DELINEATION OF ENTER-PRISE WITH FOREIGN INVESTMENT ENGAGING IN COMMUNICATIONS AND TRANSPORTA-TION
(State Administration of Taxation: 4 July 1994 Coded Guo Shui HanFa [1994] No. 383)
Whole Doc.
To the Beijing Municipal Tax Bureau:
We have recently received your bureau's inquiry, asking the question
as to whether or not enterprise with foreign investment engaged in the
business of moving houses and transportation can enjoy the preferential
taxation treatment as granted to productive enterprise with foreign
investment. After study we hereby clarify the question as follows:
The communications and transportation services as stated in Section
(8), Clause 1, Article 72 of the Detailed Rules for Implementation of the
Income Tax Law of the Peoples Republic of China on enterprise with foreign
investment and Foreign Enterprises include enterprise with foreign
investment engaging in the business of moving houses and transportation,
but exclude enterprise with foreign investment engaging in (express)
delivery business of mail and articles.
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