Seminar&Publishing
Seminar&Publishing
~FCG authored books~
In this book, a total of 40 lawyers, certified public tax accountants, certified public accountants, labor and social security attorneys, and other experts gather together their practical experience and knowledge to explain in a Q&A format, the differences from traditional cross-border work styles (overseas assignment, secondment, business trip, etc.) and visa issues, taxation risks, employee labor management, and social insurance related issues.
Strategic decisions on overseas subsidiaries will determine the future of Japanese companies!
This book explains the current situation of overseas subsidiaries with abundant data. Quick answers to practical points through Q&A.
Issues and solutions unique to each country and region are clarified through case studies.
This is a book full of useful knowledge when you are faced with problems in advancing into or withdrawing from overseas.
This book outlines the main points of contention in Japanese tax law that foreign corporations in Japan, Japanese branches of foreign corporations, and foreign residents or non-residents tend to face on a daily basis in the form of Japanese-English translations.
Terms related to the Japanese tax system, terms related to the tax system that are considered necessary when communicating with foreigners in English, as well as some accounting and legal terms that cannot be separated from tax are also included.
This book provides an easy-to-understand explanation with illustration of the basics of transfer pricing taxation, how to calculate an arm's length price, transfer pricing documentation, tax investigations, advance pricing arrangement, mutual agreement, and other practical procedures and points to note. This is an ideal book to grasp the overall picture of transfer pricing taxation.
This book explains in detail various laws and regulations related to real estate investment, important points in procedures and laws and regulations, the operations of the system, etc.
Practical handbook to solve specific tax issues confronted by companies operating in Asian countries by the latest and abundant know-how of the authors who actually had solved the problem on site. This book gives explanation by country in Q&A format about 10 Asian countries (China, Hong Kong, Taiwan, Philippines,Vietnam, Thailand, Malaysia, Singapore, Indonesia, and India) where many Japanese companies are doing business.
This book explains tax authorities’ trends and the viewpoint of investigation in focus. It covers basic knowledge which is necessary to write documents, as well as the movement of current BEPS in a way that is easy to understand.
This book is written for the ones, who are considering to invest in Singapore. It explains general information, attractive investing environment and law regulations which is necessary to understanding before you start business in Singapore.
* This book is not for sale. You can download it on the website of the Singapore Economic Development Board.
What is the intention of the examiner who demanded to interview research personnel?
This book covers the taxation on corporate reorganization. It is a manual for M&A, company split, property contribution in kind, distribution in kind, stock wrap, stock transfer and transfer of business. It also contains comments about eligibility requirements with a lot of examples, loss carryforward, adjustment for taxable income, consumption tax, etc.
Recent years, “Best Method Rule“ and “Profit Split Method” were introduced and Japanese transfer pricing taxation reaches a major milestone. The reason of this change is that the main target of transfer pricing taxation moved from traditional trading between foreign affiliated companies and their parent company to international trading between a Japanese corporation and subsidiaries abroad. Because of this new trend, it is clear that taxation by Secret Comparable based on the Traditional Transaction Methods has a limitation, and Transactional Net Margin Method and Profit Split Method, which enable taxpayers to apply by themselves, are getting more and more important.
While the tax authority considers this trend and focuses on more previous confirmation than investigation, many of the big companies use Advanced Pricing Agreement (APA). Therefore, the number of small and middle-sized companies which make use of APA will drastically increase from now on. To promote the usage of APA, investigation of Transfer Pricing Taxation against small and medium-sized corporations will be more focused on.
In this second edition, we explain how to deal with the new methods in more detail and simpler than in the first edition. It contains the commentary upon latest OECD Transfer Pricing Taxation and the revision of Office Management Guidelines.
This book focuses on the biggest taxation risk that companies may face these days. It is a pioneering book, picking up the important practical problems with author’s opinion, which had no clear directions so far.
“We are confident to tell you the complex Vietnamese personal income tax law simpler and easier.” It is the first manual about Vietnamese personal income tax written in Japanese. It contains Q&A style explanation based on actual case studies which Japanese companies, expatriates and their families face in everyday life in Vietnam.
“We can solve tax problems with money.” “Just the difference of interpretation between us and tax authorities.” etc.
Nowadays we couldn’t use such excuses when we face taxation matters. What is correct understanding for “Tax Compliance”? This book gives you some clues using 15 actual case studies.