Yūgen gaisha

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Template:Italic title A Script error: No such module "Nihongo"., abbreviated in English as "Y.K." or "Co., Ltd.", was a form of business organization in Japan.[1]

Script error: No such module "lang". were based on the German Script error: No such module "Lang". and were implemented in Japan in the Script error: No such module "Nihongo". of 1940. The Companies Act of Japan, implemented on May 1, 2006, replaced the Script error: No such module "lang". with a new form of company called Script error: No such module "lang"., based upon the American limited liability company. Following the implementation, no new YKs were allowed in Japan, but pre-existing YKs were allowed to continue their operations as Script error: No such module "lang". under special rules.[2]

Whether the term is pronounced as Script error: No such module "lang". or Script error: No such module "lang". is up to the local dialect or the company's preference when it is part of the company's name. While it is pronounced Script error: No such module "lang". in standard Japanese, the alphabetic abbreviation is always Y.K. by standard.

Structure

As of 2005, a Y.K. can have up to 50 investors, called Script error: No such module "Nihongo".. The members were required to provide at least ¥3 million in capital contributions, with individual Script error: No such module "Nihongo". valued at no less than ¥50,000. The minimum capital amount was much more permissive than the ¥10 million minimum for a Script error: No such module "lang".. A Y.K. was also not required to issue certificates for investment units, whereas stock certificates were required for a K.K.

Unlike a K.K., a Y.K. does not need to have a board of directors or statutory auditors: the minimum requirement is one Script error: No such module "Nihongo"..

Because of its simplified structure and relatively lax incorporation requirements, the Y.K. form is associated with small businesses. However, some larger companies have used the form: ExxonMobil's principal Japanese subsidiary, for instance, is a Y.K. with paid-in capital of ¥50 billion (US$420 million).[3] In addition to simplified corporate governance, a Y.K. receives some tax benefits under foreign laws such as the U.S. Internal Revenue Code.

References

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  1. Script error: No such module "citation/CS1".
  2. Japan: SPCs under company law - Abolishment of YK Law
  3. Script error: No such module "citation/CS1".

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