SUMMARY 1) If the person to whom the attendance fee is paid works in the same place within the scope of 4-1/a of Law No. 5510, the attendance fee to be paid to this person is subject to insurance premium. 2) If the person to whom the attendance fee is paid works in the same place within the scope of 4-1/b of Law No. 5510, the attendance fee to be paid to this person is not subject to insurance premium. EVALUATION OF PEACE RIGHT PAYMENTS ARE SUBJECT TO PREMISES: In practice, there may be cases where some duties are performed by attending the meetings of bodies such as commissions, committees, administrative boards and the attendees are paid in the name of attendance fee per meeting or hour. Company partners, company managers and board members have certain responsibilities and obligations in terms of laws. The financial compensation determined in order to reduce the risks faced by these people due to these responsibilities and obligations is called attendance fee. According to article 61 of the Income Tax Law No. 193, attendance fees are defined as wages and are taxed through withholding tax. According to the SGK legislation, the payments made under the name of attendance fee are subject to premium.
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