|
2013-12-16
, 21:17
|
Posts: 388 |
Thanked: 1,340 times |
Joined on Nov 2007
@ Finland
|
#1032
|
|
2013-12-16
, 21:20
|
Posts: 48 |
Thanked: 128 times |
Joined on Dec 2009
|
#1033
|
|
2013-12-16
, 21:24
|
Posts: 97 |
Thanked: 103 times |
Joined on Sep 2009
@ switzerland
|
#1034
|
No no no... you are confusing direct (e.g. income and capital) taxes and indirect (e.g. value added and sales) taxes. VAT is never paid twice, it is either paid in the country of origin or country of destination, but never in both countries. Inside EU VAT area when selling to a private person, VAT is paid in the country of origin (in Jolla's case Finland), and when selling to outside of EU VAT area, it is paid in the country of destination.
|
2013-12-16
, 21:32
|
Posts: 388 |
Thanked: 1,340 times |
Joined on Nov 2007
@ Finland
|
#1035
|
Inside EU VAT area when selling to a private person, VAT is paid in the country of origin (in Jolla's case Finland).
|
2013-12-16
, 21:32
|
Posts: 49 |
Thanked: 33 times |
Joined on Dec 2009
@ Berlin/Germany
|
#1036
|
|
2013-12-16
, 21:43
|
Posts: 97 |
Thanked: 103 times |
Joined on Sep 2009
@ switzerland
|
#1037
|
|
2013-12-16
, 21:48
|
Posts: 48 |
Thanked: 128 times |
Joined on Dec 2009
|
#1038
|
You can see this if you order from Amazon. They will tax you based on your home VAT percent and then send the VAT payment to your home country.
The Following User Says Thank You to IlkkaP For This Useful Post: | ||
|
2013-12-16
, 21:55
|
|
Posts: 193 |
Thanked: 203 times |
Joined on Jun 2012
@ Sofia, Bulgaria
|
#1039
|
International double taxation agreements
It is not unusual for a business or individual who is resident in one country to make a taxable gain (earnings, profits) in another. This person may find that he is obliged by domestic laws to pay tax on that gain locally and pay again in the country in which the gain was made. Since this is inequitable, many nations make bilateral double taxation agreements with each other. In some cases, this requires that tax be paid in the country of residence and be exempt in the country in which it arises. In the remaining cases, the country where the gain arises deducts taxation at source ("withholding tax") and the taxpayer receives a compensating foreign tax credit in the country of residence to reflect the fact that tax has already been paid. To do this, the taxpayer must declare himself (in the foreign country) to be non-resident there. So the second aspect of the agreement is that the two taxation authorities exchange information about such declarations, and so may investigate any anomalies that might indicate tax evasion [1]. While individuals, or natural persons can have only one residence at a time; corporate persons, owning foreign subsidiaries, can be simultaneously resident in multiple countries. Control of unreasonable tax avoidance of corporations becomes more difficult and requires investigation of transfer pricing set for transfer of goods, Intellectual property rights, and services, among its subsidiaries [2].
Dear Enemy: may the Lord hate you and all your kind, may you be turned orange in hue, and may your head fall off at an awkward moment.
How to tell Heretics from Catholics?Papal legate Arnaud Amalric answers :Caedite eos. Novit enim Dominus qui sunt eius.(Kill them all, the Lord will recognise His own.)
“Get thee to Hell, where Asmodeus himself may suckle upon your diseased teat!”
Barnabas Collins
|
2013-12-16
, 21:59
|
Posts: 46 |
Thanked: 20 times |
Joined on Mar 2013
@ In the Arctic part of Norway
|
#1040
|
I think there was someone from norway with a low number that had in picking satus last week.
The Following User Says Thank You to trashin For This Useful Post: | ||
Last edited by kollin; 2013-12-16 at 21:47.