Tax ruling No. Gor Khor 0706/4934 dated May 28, 2003, if the foreign employee who have a resident of Thailand (staying in Thailand for a period or periods aggregating 180 days), receive a capital gain/dividend from foreign company and bring it into Thailand in the same period. He/she is subject Thai tax. However, he/she brings capital gain/dividend into Thailand next period. He/she is not subject Thai tax.