This website uses cookies to improve your browsing experience. By continuing to use this website you agree to our use of cookies. For more information on our use of cookies, click here to review the Cookies Policy.。
On 25 September 2002 the Executive Yuan an-nounced amendments to the Rules Governing Standards Withholding Tax Rates of Various Type of Income. The main changes are as fol-lows:
Under new provisions, tax is to be withheld at the rate of 6% on the full amount of income from beneficiary certificates or asset-backed securities issued in accordance with the Fi-nancial Assets Securitization Statute, regard-less of whether the recipient is resident in the ROC, or a business entity with a fixed place of business in the ROC.
If the beneficiary of a trust deed is not the settlor, and is a non-resident individual or a business entity with no fixed place of business or business agent in the ROC, then at the time when the trust is created or amended, or fur-ther assets are added to it, the settlor shall withhold tax at the rate of 20% of the value of the entitlement or the increase in the value of the entitlement.
If the beneficiary of a trust deed is unspecified or does not yet exist, then the trustee shall withhold and declare tax at the rate of 20% of the value or increase in value of the benefici-ary's entitlement to benefits under the trust, in respect of the tax year in which the trust is created or amended, or further assets are added to it.