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INCOME TAX - Note 23
12 Months Ended
Dec. 31, 2011
Notes to Financial Statements  
INCOME TAX - Note 23

NOTE 23 — INCOME TAX

The Company is subject to income taxes by entity on income arising in or derived from the tax jurisdiction in which each entity is domiciled.

Zoom Technologies Inc., Zoom Sub was incorporated in the U.S. and has net operating losses ("NOL") for income tax purposes, which can be carried forward for up to 20 years from the year the loss is incurred. Zoom has NOL carry forwards for income taxes of approximately $7.8 million at December 31, 2011, which may be available to reduce future years' taxable income. Management believes the realization of benefits from these losses remains uncertain due to Zoom's limited operating history and continuing losses. Accordingly, a 100% deferred tax asset valuation allowance has been provided.

TCB Digital, Jiangsu Leimone and Nollec Wireless are governed by the Income Tax Law of the PRC concerning the private-run enterprises, which are generally subject to tax at a statutory rate of 25% on income reported in the statutory financial statements after appropriate tax adjustments.

Jiangsu Leimone is exempt from income tax in PRC for two years starting from the first profitable year or the year 2008, whichever is earlier, and is subject to a 50% exemption on normal income tax rate for the following three years.

Nollec Wireless is exempt from income tax in PRC for two years starting from 2008, and is subject to a 50% exemption on normal income tax rate for three years starting from 2010 and is subject to normal income tax rate from 2013.

Since Nollec has pre-tax loss 2011, the Company's net income and earnings per share had no effect due to its income tax exemption.

Profit Harvest and CDE are governed by the Income Tax Law of Hong Kong, which is generally subject to tax at a statutory rate of 16.5% on income reported in the statutory financial statements after appropriate tax adjustments.

Portables is governed by the Income Tax Law of United States; however, because Portables is a pass through entity for tax purposes, tax liabilities are the responsibility of its members. Therefore, Zoom Sub, which is responsible to report and make payments on its portion of income generated by Portables is subject to a statutory tax rate of 34%.

TCB Digital had pre-tax loss of $99,012 and pre-tax profit of $1,145,617 for 2011 and 2010 respectively, while Jiangsu Leimone had pre-tax loss of $835,956 and $300,378 for 2011 and 2010 respectively, while Profit Harvest had pre-tax profit of $13,014,499 and $18,893,411 for 2011 and 2010 respectively, while Nollec Wireless had pre-tax loss of $1,853,953 for the year ended December 31, 2011, while CDE had pre-tax loss of $202,424 for the year ended December 31, 2011, while Portables had pre-tax profit of $695,559 for the period from October 11 to December 31, 2011.

The following table summarizes the temporary differences which result in deferred tax assets and liabilities as at December 31, 2011 and 2010:

    2011   2010
Deferred tax assets:        
             
Inventory impairment reserve   $ 8,360   $ 28,763
Accrued expenses   -   28,684
Inventory shortage   60,688   95,410
Long-term investment impairment   17,676   17,014
    86,724   169,871
Less: Valuation allowance   -   -
         
Total deferred tax assets   86,724   169,871
         
Deferred tax liabilities        
Developed products   (30,575)   (66,452)
         
Deferred tax assets, net   $ 56,149   $ 103,419

 

The following table reconciles the U.S. statutory rates to the Company's effective tax rate for the years ended December 31, 2011 and 2010:

  December 31, 2011   December 31, 2010
       
       
US statutory rates 34.0%   34.0%
Tax rate difference -30.6%   -19.6%
Valuation allowance 31.6%   5.4%
Tax for prior year 4.0%   2.9%
Impairment of goodwill 6.5%   -
Non-taxable income of pass through entity -4.2%   -
Tax per financial statements 41.5%   22.7%

 

Foreign pretax earnings approximated $6.2 million for 2011. Pretax earnings of a foreign subsidiary are subject to U.S. taxation when effectively repatriated. The Company provides income taxes on the undistributed earnings of non-U.S. subsidiaries except to the extent that such earnings are invested indefinitely outside of the U.S. At December 31, 2011, approximately $29.5 million of accumulated undistributed earnings of non-U.S. subsidiaries was invested indefinitely. At the existing U.S. federal income tax rate, additional taxes of $9.0 million would have to be provided if such earnings were remitted currently.