Tax services

Worldwide tax summaries Asian Tax and Advisory Webcast Series

Hong Kong Tax News Flash 

May 2016, Issue 4

Hong Kong is embarking on the BEPS journey


The Deputy Commissioner of Inland Revenue (Deputy CIR) has recently commented on the implementation of the BEPS project in Hong Kong. One clear message that has emerged is that Hong Kong will need to respond to the rewritten international tax rules and update its tax system and legislation, at least in certain areas.

In implementing the BEPS project, priority will be given to the four BEPS action points where there are agreed minimum standards, namely (1) review of harmful tax practices and spontaneous exchange of information on certain tax rulings (Action 5), (2) model anti-treaty abuse provisions in tax treaties (Action 6), (3) country-by-country (CbC) reporting requirements and automatic exchange of CbC reports (Action 13) and (4) improvements in cross-border tax dispute resolution (Action 14). In particular, transfer pricing (TP) legislation and TP documentation requirements are likely to be the top priority. The Deputy CIR also hinted that the simplified limitation on benefits (LOB) rule plus the principle purposes test (PPT) will probably be the norm for Hong Kong tax treaties in the future.

With the likelihood of introduction of specific TP legislation and documentation requirements in Hong Kong, groups with cross-border related party transactions will need to prepare themselves for closer scrutiny by the IRD on TP-related issues and greater disclosure of TP-related information of the groups. With the possible incorporation of the simplified LOB rule and the PPT into the Hong Kong tax treaties, companies that hold their investments through Hong Kong investment holding platforms will need to review and assess whether their current structures can fulfil the conditions imposed by the new anti-treaty shopping rules and withstand potential challenges from Hong Kong's tax treaty partners, and evaluate the options available to ensure the sustainability of such structures under the new rules.

Other issues of Hong Kong Tax News Flash
Visit our Tax Library.
Contacts
David Smith
Senior Advisor
Hong Kong
Tel: +[852] 2289 5802 Email
Jeremy Ngai
Partner
Hong Kong
Tel: +[852] 2289 5616 Email
Kenneth Wong
Partner
Hong Kong
Tel: +[852] 2289 3822 Email
Nigel Hobler
Partner
Hong Kong
Tel: +[852] 2289 3122 Email
Colin Farrell
Partner
Hong Kong
Tel: +[852] 2289 3800 Email
More contacts