Facebook Twitter LinkedIn Google + YouTube

Thin capitalisation

(1) Where a foreign-controlled resident company (other than a financial institution or a banking company) has a foreign debt-to-foreign equity ratio in excess of three to one at any time during a tax year, a deduction shall be disallowed for the profit on debt paid by the company in that year on that part of the debt which exceeds the three to o...


login

 This is debug window. Set define('DEBUG', FALSE) in config.php file to hide it.