Withholding tax on dividends and interest paid to qualified foreign institutional investor clarified
The State Administration of Taxation (SAT) issued a ruling (Guo Shui Han [2009] No. 49 on 23 January 2009 confirming that dividends and interest paid by a resident enterprise to a qualified foreign institutional investor (QFII) are subject to 10% withholding tax unless an applicable tax treaty or tax arrangement provides otherwise. The paying resident enterprise is required to act a…
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