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Income of a foreign company specified in sub-paragraph 6 of paragraph 4 of this article


Incomes of a foreign company specified in sub-item 6 of item 4 of this article are recognized as incomes from active activities in cases where such incomes are received from the sale of goods under contracts (agreements) according to the terms of which the delivery of the base asset is carried out, or such incomes are received from hedging operations... provided that the relevant information is disclosed in the financial reporting of the controlled foreign company1.

  1. Tax Code of the Russian Federation, as amended on May 21, 2020, Article 309.1, paragraph 5 // Official Gazette of the Russian Federation. 2000. No. 32. Article 3340. ↩

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