PRC Non-Resident Enterprise Tax Series - Issue 05, August 2015
This publication provides an overview of developments in the Chinese taxation of Intellectual Property (IP) and innovative activity. The authors explore in detail how likely changes in Chinese and global tax practice, set to emerge from the G20/OECD Base Erosion and Profit Shifting (BEPS) global tax reform initiative, are likely to stress-test certain existing IP management structures, and prompt reorganizations. The authors further point to the opportunities and challenges for MNEs going forward, setting out how KPMG China’s tax service lines can assist MNEs to adapt to the new environment.
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