Interpretation
J.Y. Interpretation |
NO.116
|
Date |
1966/9/30 |
Issue |
Shall the interests included in the installment payments made to foreign businesses or manufacturers be subject to income tax withholding? |
Holding |
1 If an installment plan to pay a foreign business or manufacturer contains interest, the interest payment is subject to tax withholding by the domestic person charged with withholding duty when making payments.
|
Reasoning |
1 Article 86, Paragraph 3, of the Income Tax Act, operative January 1, 1956, provided that a person receiving interest income shall be the taxpayer liable for that income. This tax liability is not limited to an individual. A business entity receiving interest income is taxable, too. As Article 85, Paragraph 1, of the same Act prescribed, a person charged with withholding duty is not exempted solely because the interest-receiving party is not an individual. Therefore, if an installment plan to pay a foreign business or manufacturer contains interest, the interest payment is subject to tax withholding by the domestic person charged with withholding duty when making payments. 'Translated by Robert Huai-Ching Tsai.
|
Opinion |
Chinese only
|