(2) a company or partnership incorporated under foreign law. Which is responsible for the corporate income tax in Thailand. If any of the conditions. As follows:
a. Company or juristic partnership abroad. To do business in Thailand (Article 66, first paragraph, of the Code)
b. Company or juristic partnership abroad. Done elsewhere Including in the United States (Article 66, second paragraph of the Code)
c. Company or juristic partnership abroad. Other parties, including the business done in India and it is the international shipping business (Article 67 of the Code)
d. Company or juristic partnership abroad. Nor carrying on business in Thailand but was assessable income under Section 40 (2) (3) (4) (5) or (6) or in the supply of
package. Company or juristic partnership overseas corporate income tax in accordance with Article 76, second paragraph and Article 76 bis. The distribution of profits or other monies set aside from profits. Or regarded as profits out of the country (article 70 bis)
f. Company or juristic partnership abroad. Not to do business in Thailand.
การแปล กรุณารอสักครู่..