The questions to be concluded with due consideration to Thai Tax Law as well as Double Taxation Convention between Thailand and Denmark:
1. What is the appropriate and legal withholding tax level for this case. Is there a difference between withholding of award principal and interest?
2. What is the correct taxation rate for the accumulated interest for this case if I am taxable in Thailand?
3. What is the applicable status of tax-residency for JS for this case. Am I taxable in Denmark or in Thailand?