Normal view MARC view ISBD view

Overseas income (part two) : please note: due to copyright restrictions, we are only able to supply you with 2 sections of this publication. Please select from the list of contents and email selection to library@charteredaccountantsanz.com

By: Hayes Knight.
Series: Tax Examples and Scenarios.Publisher: New Zealand, Thomson Reuters, Edition: no. 167, March 2018.Description: 1-17 17 pages.Subject(s): Tax legislation | Income tax | Foreign income | Foreign tax | Superannuation | Cryptocurrencies | Income Tax Act 2007 -- New ZealandSummary: Discusses foreign tax credits and income from overseas investment, including income from foreign superannuation, income from interest and foreign exchange variation as well as tax implications when a taxpayer is either paid or deals in crypto-currency. PLEASE NOTE: We are legally able to copy only 2 sections from the following Table of Contents: Foreign tax credit - no double tax agreement -- Income from foreign bank account -- Income from foreign-denominated loan -- Conversion of foreign amounts received into New Zealand dollars -- Treatment of interest in overseas partnership -- Treatment of interest in overseas limited partnership (part one) -- Treatment of interest in overseas partnership (part two) -- Periodic superannuation received from overseas -- Periodic pension received from Australia -- Lump sum superannuation received from Australia -- Lump sum foreign superannuation generally -- Schedule method -- Payment in bitcoin -- Subsequent sale of bitcoin -- Investing in bitcoin -- Investing in bitcoin (losses).
Item type Home library Call number Status Date due Item reserves
Article Article New Zealand
Available
Total holds: 0

Discusses foreign tax credits and income from overseas investment, including income from foreign superannuation, income from interest and foreign exchange variation as well as tax implications when a taxpayer is either paid or deals in crypto-currency.
PLEASE NOTE: We are legally able to copy only 2 sections from the following Table of Contents: Foreign tax credit - no double tax agreement -- Income from foreign bank account -- Income from foreign-denominated loan -- Conversion of foreign amounts received into New Zealand dollars -- Treatment of interest in overseas partnership -- Treatment of interest in overseas limited partnership (part one) -- Treatment of interest in overseas partnership (part two) -- Periodic superannuation received from overseas -- Periodic pension received from Australia -- Lump sum superannuation received from Australia -- Lump sum foreign superannuation generally -- Schedule method -- Payment in bitcoin -- Subsequent sale of bitcoin -- Investing in bitcoin -- Investing in bitcoin (losses).


© 2017 Chartered Accountants Australia and New Zealand ABN 50 084 642 571 (CA ANZ).
Formed in Australia. Members of CA ANZ are not liable for the debts and liabilities of CA ANZ

Powered by Koha

Powered by Koha