THE MINISTRY OF FINANCE
-------
SOCIALIST REPUBLIC OF VIET NAM
Independence - Freedom - Happiness

----------
No. 64/2010/TT-BTC
Hanoi, April 22, 2010
 
CIRCULAR
AMENDING AND SUPPLEMENTING THE FINANCE MINISTRY'S CIRCULAR NO. 134/ 2008/TT-BTC OF DECEMBER 31, 2008, GUIDING THE PERFORMANCE OF THE TAX OBLIGATION BY FOREIGN ORGANIZATIONS AND INDIVIDUALS DOING BUSINESS OR EARNING INCOMES IN VIETNAM
 
THE MINISTRY OF FINANCE
 
Pursuant to the Socialist Republic of Vietnam's current laws and ordinances on taxes, fees and charges and the Government's decrees detailing laws and ordinances on taxes, fees and charges;
Pursuant to June 3, 2008 Law No. 13/2008/ QH12 on Value-Added Tax; and the Government's Decree No. 123/2008/ND-CP of December 8, 2008, detailing and guiding a number of articles of the Value-Added Tax Law;
Pursuant to June 3, 2008 Law No. 14/2008/ QH12 on Enterprise Income Tax; and the Government's Decree No. 124/2008/ND-CP of December 11, 2008, detailing and guiding a number of articles of the Law on Enterprise Income Tax;
Pursuant to the Government's Decree No. 118/2008/ND-CP of November 27, 2008, defining the functions, tasks, powers and organizational structure of the Ministry of Finance;
The Ministry of Finance amends and supplements Circular No. 134/2008/TT-BTC of December 31, 2008, guiding the performance of the tax obligation by foreign organizations and individuals doing business or earning incomes in Vietnam as follows:
Article 1. To amend and supplement the forth em rule of Clause 2.3, Section I, Part B of Circular No. 134/2008/TT-BTC as follows:

"- Incomes from loan interests, which are a lender's incomes earned from loans provided in any form, whether or not those loans are guaranteed with mortgage and lenders are entitled to borrower rights over revenues; incomes from deposit interests (other than those of foreigners and those arising on deposit accounts to maintain operation in Vietnam of diplomatic missions and representative offices of international organiza­tions and non-governmental organizations in Vietnam), including also bonuses accompanying deposit interests (if any); incomes from interests for deferred payment under contracts, of interests bonds (other than tax-free bonds) and deposit certificates.

Click Download to see full text