Settlements with Thai and Foreign Agents: Recipient’s Taxation

When paying for services, a Thai company acts as a tax agent:
it is required to withhold tax (Withholding Tax), remit it to the tax authorities, and issue a withholding tax certificate to the recipient.

How Withholding Tax Is Treated

The withheld tax amount can be used:

  • for corporate income tax calculation — if the recipient is based in Thailand
  • under a Double Taxation Agreement (DTA) — if the recipient is abroad
  • as a final withholding tax — for foreign companies

VAT When Working with Foreign Companies

A Thai company may also be required to:

  • pay VAT on behalf of a foreign service provider

This applies if the services are considered to be rendered in Thailand.

Calculation Examples (Service Fee — 100,000 THB)

Services are rendered in Thailand. The client is a Thai company.

1. Service Provider — Thai Company

  • Withholding Tax: 3% = 3,000 THB
  • VAT: 7,000 THB

Net payment to the provider: 104,000 THB

2. Service Provider — Company in Kazakhstan

(no Double Taxation Agreement applies)

  • Withholding Tax: 15% = 15,000 THB
  • VAT (paid by the client): 7,000 THB

Important: clarify in advance whether VAT is included in the service fee.

Net payment to the provider: 85,000 THB

3. Service Provider — Company in the UAE

(Double Taxation Agreement applies)

  • Withholding Tax: 0%
  • VAT (paid by the client): 7,000 THB

Net payment to the provider: 100,000 THB

Key Considerations

  • Withholding Tax rates depend on:
    • the recipient’s tax residency
    • the existence of a DTA
  • VAT when working with foreign companies:
    • is often paid by the client
    • is not always included in the contract price
  • the overall tax burden may vary significantly depending on the deal structure

Conclusion

The same contract amount may result in different net income for the recipient depending on:

  • country of incorporation
  • applicable tax treaties
  • contract structure

Therefore, tax planning should be done before entering into the contract, not after payment.

Author: Alexandra Agapitova.
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