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14. INCOME TAXES
6 Months Ended
Jun. 30, 2020
Income Tax Disclosure [Abstract]  
14. INCOME TAXES

The Company utilizes the asset and liability method of accounting for income taxes in accordance with FASB ASC 740-10.

 

(a)          United States (“US”)

 

Gulf Resources, Inc. may be subject to the United States of America Tax laws at a tax rate of 21%. No provision for the US federal income taxes has been made as the Company had no US taxable income for the three-month and six-month periods ended June 30, 2020and 2019, and management believes that its earnings are permanently invested in the PRC.

 

(b)           British Virgin Islands (“BVI”)

 

Upper Class Group Limited, a subsidiary of Gulf Resources, Inc., was incorporated in the BVI and, under the current laws of the BVI, it is not subject to tax on income or capital gain in the BVI. Upper Class Group Limited did not generate assessable profit for the three-month and six-month periods ended June 30, 2020 and 2019.

 

(c)           Hong Kong

 

HKJI, a subsidiary of Upper Class Group Limited, was incorporated in Hong Kong and is subject to Hong Kong taxation on its activities conducted in Hong Kong and income arising in or derived from Hong Kong.  No provision for income tax has been made as it has no taxable income for the three-month and six-month periods ended June 30, 2020 and 2019.  The applicable statutory tax rates for the three-month and six-month periods ended June 30, 2020 and 2019are 16.5%. There is no dividend withholding tax in Hong Kong.

 

(d)           PRC

 

Enterprise income tax (“EIT”) for SCHC, SYCI and DCHC in the PRC is charged at 25% of the assessable profits.

 

The operating subsidiaries SCHC, SYCI and DCHC are wholly foreign-owned enterprises (“FIE”) incorporated in the PRC and are subject to PRC Local Income Tax Law. The PRC tax losses may be carried forward to be utilized against future taxable profit for ten years for High-tech enterprises and small and medium-sized enterprises of science and technology and for five years for other companies. Tax losses of the operating subsidiaries of the Company may be carried forward for five years.

 

On February 22, 2008, the Ministry of Finance (“MOF”) and the State Administration of Taxation (“SAT”) jointly issued Cai Shui [2008] Circular 1 (“Circular 1”). According to Article 4 of Circular 1, distributions of accumulated profits earned by a FIE prior to January 1, 2008 to foreign investor(s) in 2008 will be exempted from withholding tax (“WHT”) while distribution of the profit earned by an FIE after January 1, 2008 to its foreign investor(s) shall be subject to WHT at 5% effective tax rate.

 

As of June 30, 2020 and December 31, 2019, the accumulated distributable earnings under the Generally Accepted Accounting Principles (GAAP”) of PRC that are subject to WHT are $114,295,118 and $124,616,722, respectively. Since the Company intends to reinvest its earnings to further expand its businesses in mainland China, its foreign invested enterprises do not intend to declare dividends to their immediate foreign holding companies in the foreseeable future. Accordingly, as of June 30, 2020 and December 31, 2019, the Company has not recorded any WHT on the cumulative amount of distributable retained earnings of its foreign invested enterprises that are subject to WHT in China. As of June 30, 2020 and December 31, 2019, the unrecognized WHT are $4,752,714 and $5,254,560, respectively.

 

The Company’s income tax returns are subject to the various tax authorities’ examination. The federal, state and local authorities of the United States may examine the Company’s income tax returns filed in the United States for three years from the date of filing. The Company’s US income tax returns since 2016are currently subject to examination.

 

Inland Revenue Department of Hong Kong (“IRD”) may examine the Company’s income tax returns filed in Hong Kong for seven years from date of filing. For the years 2012 through 2019, HKJI did not report any taxable income. It did not file any income tax returns during these years except for 2014 and 2018. For companies which do not have taxable income, IRD typically issues notification to companies requiring them to file income tax returns once in every four years. The tax returns for 2014 and 2018 have been examined, and there is no Hong Kong Profits Tax was charged.

  

The components of the income tax benefit from continuing operations are:

 

    Three-Month Period Ended June 30,   Six-Month Period Ended June 30,
    2020   2019   2020   2019
Current taxes – PRC   $     $     $     $  
Deferred taxes – PRC     612,354       695,988       1,739,929       2,106,066  
Change in valuation allowance     60,279       (330,005 )     189,147       (344,946 )
    $ 672,633     $ 365,983     $ 1,929,076     $ 1,761,120  

          

The effective income tax rate differs from the PRC statutory income tax rate of 25% from continuing operations in the PRC as follows:

 

    Three-Month Period Ended June 30,   Six-Month Period Ended June 30,
Reconciliations   2020   2019   2020   2019
Statutory income tax rate     25 %     25 %     25 %     25 %
Non-taxable income,(Non-deductible expense) and change in valuation allowance     (2 %)     8 %           (1 %)
Effective tax rate     23 %     33 %     25 %     24 %

 

Significant components of the Company’s deferred tax assets and liabilities at June 30, 2020 and December 31,2019are as follows:

 

    June 30,   December 31,
    2020   2019
Deferred tax liabilities   $     $  
                 
Deferred tax assets:                
Impairment on property, plant and equipment     2,764,893       2,974,542  
Impairment on prepaid land lease     814,620       826,673  
Exploration costs     1,758,563       1,784,583  
Compensation costs of unexercised stock options     74,883       171,672  
PRC tax losses     20,571,271       18,737,005  
US federal net operating loss     311,000       432,000  
Total deferred tax assets     26,295,230       24,926,475  
Valuation allowance     (8,796,686 )     (8,985,833 )
Net deferred tax asset   $ 17,498,544     $ 15,940,642  

 

The decrease in valuation allowance for the three-month period ended June 30, 2020 is $60,279.

 

The increase in valuation allowance for the three-month period ended June 30, 2019is $330,005.

 

The decrease in valuation allowance for the six-month period ended June 30, 2020is $189,147.

 

The increase in valuation allowance for the six-month period ended June 30, 2019is $344,946.

 

There were no unrecognized tax benefits and accrual for uncertain tax positions as of June 30, 2020 and December 31, 2019 and no amounts accrued for penalties and interest for the three and six months ended June 30, 2020 and 2019.