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Foreign consolidated taxpayer group


Foreign consolidated taxpayer group — a group of taxpayers not forming a consolidated taxpayer group (hereinafter in this Code — foreign consolidated taxpayer group) (ceased to be effective as of 2019-05-01)1.

Foreign consolidated taxpayer group — a group of taxpayers established in accordance with the legislation of a foreign state, or in accordance with its own personal law determines the tax base for calculation and payment of the amount of tax on income (profit) jointly with other persons (excluding cases where, when determining the tax base, the amount of tax on income (profit), calculated directly in relation to the profit of this controlled foreign company, is determined in its tax reporting), not forming a consolidated taxpayer group2.

  1. No. 31. Art. 3824.
  1. Tax Code of the Russian Federation. Part one dated 31.07.1998, as amended on 2019-01-01, Art. 25-13#2, subpara. 3, ceased to be in force from 2019-05-01 // RSZ RF. ↩

  2. Tax Code of the Russian Federation. Part one dated 31.07.1998, as amended on 2023-05-18, Art. 25.13-1, subpara. 3 // RSZ RF. 1998. No. 31. Art. 3824. ↩

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