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The selling company has sold items to deliver to the customer by the company is not the shipping carrier to the customer. The company has contacted other people as a means of transport, but the company wants to advance freight, Not constitute advances In this case, the company who sold the freight bill by the customer as a base to calculate value added tax (VAT) by (802 kok books (km)/tr.760. March 29, 1993)
2. Subsidiaries in the country, Thai has advances various expenses that the parent company, which is located in a foreign country will have to pay in Thai rather than the parent company first. Those advances As follows: When a subsidiary is charged back from the parent company. The case is believed to be receiving cash advances late into the night. Non-mandatory non-taxable Value added Purchase tax (802/PT. kok books3179.
3 February 16, 1994). Subsidiaries in the country, Thai has advance freight. The preferred value. Hotel expenses to employees the parent company or another subsidiary in a foreign country during which an employee comes in nation in Thai. Cash receipts/tax invoices on behalf of himself, the advances. When a subsidiary is charged back from a parent company or other subsidiaries are considered to be cash advances late into the night. And its affiliates cannot apply value added tax according to the tax invoice (s) that have been used as the purchase tax (18872/802 letter dated August 23, 1995 kok)
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