Section B - Historical Precedents – (INCOTERMS) INTERNATIONAL COMERCE TERMS.- ITS CONCEPT FOR THE APPLICATION OF COUNTERVAILING DUTIES. Read
Section B - Historical Precedents – INCOTERM “FOB”, ITS CONCEPT AND APLICATION FOR THE CALCULATION OF THE GENERAL IMPORT TAX. Read
Section B - Historical Precedents – DONATIONS. THOSE MADE BY RELIGOUS ASSOCITATIONS GENERATE THE SAME LEGAL EFFECTS FROM SAID ACTS OR ACTIVITIES, THEREFORE THEY NEED TO PAY THE VALUE ADDED TAX USING THE 16% AND 11% RATES. Read
Section B - Historical Precedents – BANK COMMISSION. STRICTLY INDISPENSABLE EXPENSES FOR THE PURPOSE OF THE TAXPAYER’S ACTIVITY. Read
Section B - Historical Precedents – RESIDENCE ABROAD. ELEMENTS TO PROVE IT AND BEING A BENEFICIARY OF AN INTERNATIONAL TREATY TO AVOID DOUBLE TAXATION. Read
Section B - Historical Precedents – INCOME TAX LAW. IN ORDER FOR THE DEDUCTION FOR ACCRUED INTEREST TO BE APPLICABLE, THE PAYMENTS THAT PRODUCED IT MUST BE PROVEN. Read
Section B - Historical Precedents – ORIGINAL INVESTMENT PRICE. TO DETERMINE THE TAX BASE FROM SAID AMOUNT IT IS VALID TO CONSIDER THE PRICE PAID FOR THE ADQUISITION OF THE PROPERTY STATED IN A DEED BECAUSE OF A PURCHASE AGREEMENT. Read
Section B - Historical Precedents – MINUTES ASSOCIATED WITH CONSULAR ACTIONS ABROAD. WHEN RECORDED THE MEXICO’S CONSUL MUST ASCERTAIN THAT THE DILIGENCES WERE MADE WITH THE LEGAL REPRESENTATIVE OF THE LEGAL PERSONS. Read
Section B - Historical Precedents – NOT SUITABLE PROFF TO DEMONSTRATE THE TAX DOMICILE OF THE PLAINTIFF AS OF THE DATE OF THE PRESENTATION OF THE CLAIM. ITS CONSTITUTED BY THE REPORT THAT CONTAINS ONLY THE NAME OF THE PLAINTIFF, ITS FEDERAL TAXPAYER REGISTRY AND ITS TAX DOMICILE, ISSUED BY A COMPETENT AUTHORITY OF THE TAX ADMINISTRATION SERVICE BY EXPRESS REQUEST OF AN AUTHORITY OF THE INSTITUTE FOR SECURITY AND SOCIAL SERVICES FOR STATE WORKERS. Read