KPMG Tax NewsFlash - Special Issue – CFC

Following the recommendations of the Organisation for Economic Cooperation and Development (OECD), the new Tax Code clarified and enhanced procedures for taxation of foreign companies controlled by Kazakhstan residents.  The Tax Code introduced definitions of a controlled foreign company (CFC), CFC’s permanent establishment (CFC PE), direct, indirect and constructive control or possession, immediate family members, and effective income tax rate. Please read more about CFC in this special issue of KPMG Tax NewsFlash.  Read more:

Back to Member News