Thinking Beyond Borders

Similar documents
Thinking Beyond Borders

How To Pay Tax In Uganda

Thinking Beyond Borders

2013 Thinking Beyond Borders

Thinking Beyond Borders

Thinking Beyond Borders

Costa Rica. Key messages Extended business travelers are likely to be taxed on employment income relating to their Costa Rican work days.

Canada. Contact James Yager KPMG in Canada Tax Partner T: E:

Study Notes for Hong Kong Taxation, especially for Module D, QP of HKICPA Enhanced and Revised Edition as at 10 November 2015

Macau SAR Tax Profile

Arrangement between the Mainland of China and the HKSAR for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion

A guide to Salaries Tax for people coming to work in Hong Kong. HK or non-hk office HK or non-hk employment the days-in-days-out basis of assessment

Hong Kong Taxation of Non- Residents

Taiwan e-tax Alert. Issue 37 April 7, 2014

Cambodia Tax Profile. kpmg.com.kh

A guide to Salaries Tax (2) which income is assessable and which deductions are allowable

Setting up your Business in SINGAPORE Issues to consider

International Assignment Services Taxation of International Assignees Country Hong Kong

Fundamentals Level Skills Module, Paper F6 (HKG)

THE TAXATION INSTITUTE OF HONG KONG CTA QUALIFYING EXAMINATION PILOT PAPER PAPER 5 ADVANCED TAXATION PRACTICE

COUNTRY PROFILE HONG KONG

立 法 會. Legislative Council. Bills Committee on Inland Revenue (Amendment) (No.3) Bill Background brief

News Flash Hong Kong Tax. November 2015 Issue 10. In brief. In detail.

Hong Kong * 505 IBFD. * Contributed by Ying Zhang, IBFD.

Your incentive compensation plans have no borders.

Tax Overview Setting up a Fund Manager in Singapore

Capital Investment Visa in Hong Kong:Immigration Considerations and Tax Issues 1

Related party transactions Section 34D has been enacted recently in the SITA to legislatively endorse the arm slength

THE HONG KONG INSTITUTE OF CHARTERED SECRETARIES. Suggested Answers

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 39 PROFITS TAX TREATMENT OF ELECTRONIC COMMERCE

Income tax for individuals is computed on a monthly basis by applying the above progressive tax rates to employment income.

GLOBAL INDIRECT TAX. Thailand. Country VAT/GST Essentials. kpmg.com TAX

Commonly Asked Questions on Departmental Interpretation and Practice Notes ( DIPN ) No. 40 Profits Tax: Prepaid or Deferred Revenue Expenses

Income Tax and Social Insurance

Inland Revenue Department. Tax Return-Individuals (BIR60) (4/2014)

Hong Kong Taxation FUNDS AND FUND MANAGEMENT Taxation of funds. Exemption for authorized or regulated funds. The first exemption applies to:

RELEVANT TO ACCA QUALIFICATION PAPERS F6 (HKG) AND P6 (HKG) AND PERFORMANCE OBJECTIVES 15 AND 16

35. Hong Kong. International Transfer Pricing 2013/14

31 October (paper filing) 31 January (Electronic Filing)

GLOBAL INDIRECT TAX. South Korea. Country VAT/GST Essentials. kpmg.com TAX

INTERNATIONAL EXECUTIVE SERVICES. Brazil. Taxation of International Executives TAX

A guide to Profits Tax for unincorporated businesses (1) The need-to-know for new businesses and commonly asked questions

The UK as a holding company location

An Act to re-enact and modernise the law relating to payroll tax; to harmonise payroll tax law with other States; and for other purposes.

Provinces and territories also impose income taxes on individuals in addition to federal taxes

Receita Federal do Brasil (RFB) 1 January to 31 December Last working day of April following end of tax year

Laos Tax Profile. Produced in conjunction with the KPMG Asia Pacific Tax Centre. Updated: June 2015

Hong Kong s Double Tax Treaty Network

Tax Planning Checklist

INTERNATIONAL EXECUTIVE SERVICES. Australia. Taxation of International Executives TAX

Spanish Tax Facts. The Expatriate Financial Guide to Spain

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 34 (REVISED) EXEMPTION FROM PROFITS TAX (INTEREST INCOME) ORDER 1998

Global Transfer Pricing Review

Hong Kong SAR Tax Profile

Title here. Services CORPORATE TAX SERVICES EXECUTIVE SERVICES TRANSFER PRICING INVESTMENT INCENTIVES AND OTHER SUBSIDIES INTERNATIONAL TAX

[ ] Payments on Termination of an Office or Employment or a Change in its Functions

Income in the Netherlands is categorised into boxes. The above table relates to Box 1 income.

EMPLOYMENT COURT AWARDS FOR LOST WAGES OR OTHER REMUNERATION - EMPLOYERS LIABILITY TO MAKE TAX DEDUCTIONS

Taxation of Cross-Border Mergers and Acquisitions

Alderney The most competitive tax environment for egambling Operators - Page 1 of 7

Doing business in Hong Kong

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 10 (REVISED) THE CHARGE TO SALARIES TAX

A 5.5% solidarity surcharge is imposed on the income tax liability of all taxpayers.

Well, the filing timeline is

A Brief Guide to Personal Assessment. Whether Tax may be Reduced through Election for Personal Assessment

Sri Lanka Tax Profile

Namibia. Taxation of international assignees. kpmg.com/na

You or your employee is going to leave Hong Kong. What are you required to do under the tax law?

PRACTICAL LAW EMPLOYEE SHARE PLANS EMPLOYMENT AND EMPLOYEE BENEFITS VOL 2 MULTI-JURISDICTIONAL GUIDE 2012/13. The law and leading lawyers worldwide

DOING BUSINESS IN GERMANY Overview on Taxation

Monthly Tax Deduction as Final Tax

INTERNATIONAL EXECUTIVE SERVICES. India. Taxation of International Executives TAX

Worldwide personal tax guide Japan. Local information National Income Tax Rates Taxable Income Band National Income Tax Rates

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 16 (REVISED) SALARIES TAX TAXATION OF FRINGE BENEFITS

Fundamentals Level Skills Module, Paper F6 (SGP)

The Expatriate Financial Guide to

Papua New Guinea Tax Profile

Universal Social Charge. Frequently Asked Questions

TAX TAX NEWSLETTER. July General Information on the Tax Implications of Carrying On Business in Trinidad and Tobago (T&T) Issues Discussed

MALTA Jurisdictional Guide

Tax Guide 2014/15 South Africa

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 23 (REVISED) RECOGNIZED RETIREMENT SCHEMES

Combating Tax Fraud. Yam-yuen Chu. Commissioner Hong Kong Special Administrative Region of the People s Republic of China.

AUSTRALIAN CAPITAL TERRITORY ( ACT ) COMMUNITY SECTOR PORTABLE LONG SERVICE LEAVE SCHEME ( The Scheme ) EFFECTIVE FROM 1 JULY

Owner-Manager Remuneration

Preamble A. Where services are performed wholly in one jurisdiction section 11(1)(a) Ruling B. Where services are performed in more than

Tax Issues in Employment and Remuneration. BDO Richfield Advisory Ltd Tax & Legal Services

Investing in Northern Ireland

Universal Social Charge. Frequently Asked Questions

MALTA: A JURISDICTION OF CHOICE

DEPARTMENTAL INTERPRETATION AND PRACTICE NOTES NO. 13 (REVISED) PROFITS TAX TAXATION OF INTEREST RECEIVED

The Government of the Kingdom of the Netherlands, The Government of the Hong Kong Special Administrative Region of the People s Republic of China,

Transcription:

INTERNATIONAL EXECUTIVE SERVICES Thinking Beyond Borders Hong Kong kpmg.com

Hong Kong Introduction There is no general income tax in Hong Kong. For income to be subject to tax, it must fall under one of the specific taxation headings, namely: salaries tax, profits tax, or property tax. Hong Kong adopts a territorial basis of taxation. A person s residence status is not determinative. Contact Barbara Forrest KPMG in Hong Kong Principal T: +852 2978 8941 E: barbara.forrest@kpmg.com Key messages Visitors 1 who do not exceed 60 days of presence in Hong Kong in a year of assessment will be exempt from salaries tax. Extended business travelers who exceed 60 days of presence in a year of assessment may be assessed on employment income derived from services rendered in Hong Kong plus the attributable leave only, provided that they hold non-hong Konglocated Residence status is not determinative when considering a person s liability for salaries tax. 1 This exemption is applicable to employees only. It does not apply to individuals who hold an office in a Hong Kong-resident company.

Income tax Liability for income tax Taxation in Hong Kong is territorial. The residence status of an employee is not determinative when considering the individual s liability for salaries tax. Hong Kong salaries tax is charged on income arising in, or derived from, Hong Kong from any office or employment of profit. To determine the extent of salaries tax payable, it is first necessary to determine whether the income is derived from a Hong Kong-located employment or a non-hong Kong-located If an individual s employment is fundamentally located in Hong Kong, all income from the employment will fall within the scope of salaries tax. If an individual s employment is fundamentally located outside of Hong Kong, the liability for salaries tax will be limited to tax on income for services rendered in Hong Kong, plus the attributable leave. The above does not apply to income derived from the holding of an office (such as fees paid to company directors). Definition of source The source of employment income is determined by the location of the To determine the location of an employment, the Inland Revenue Department (IRD) will consider all the relevant facts, with particular emphasis on: where the contract was negotiated, entered into, and is enforceable, whether in Hong Kong or outside Hong Kong where the employer is resident, whether in Hong Kong or outside Hong Kong where the employee s remuneration is paid to the employee, whether in Hong Kong or outside Hong Kong. The IRD will look further than the external or superficial features of the employment to determine the location of the Tax trigger points A full exemption from salaries tax can be claimed where an individual visits Hong Kong for not more than 60 days during the year of assessment (1 April to 31 March). This 60-day exemption is available only for income from employment 2 and does not apply to directors fees. Until recently, Hong Kong did not have an extensive network of comprehensive double taxation agreements. However, it is a stated government policy that agreements will be entered into, and the government has recently done so with several countries. If a double taxation agreement is in place, an employee may be able to claim full exemption from salaries tax or tax credit relief under the relevant agreement. Types of taxable income For salaries tax purposes, income from any office or employment includes any wages, salary, leave pay, fee, commission, bonus, gratuity, perquisite, or allowance, whether derived from the employer or others. In addition, certain benefits (such as accommodation benefits, holiday journey benefits, and amounts paid in connection with the education of an employee s child) are specifically taxable under the legislation. Tax rates The maximum effective tax rate is currently 15 percent. Social security Liability for social security Hong Kong does not have a social security tax system. However, all employees and self-employed persons over the age of 18 but below 65, normally residing and working in Hong Kong, are required to join a Mandatory Provident Fund (MPF) scheme. Exemption from the MPF requirements can be claimed where an individual is in Hong Kong for a limited period (13 months or less) or is a member of an overseas retirement scheme. Compliance obligations Tax returns are generally due within one month of the date of issue. Employee compliance obligations Every taxpayer is required to notify the Commissioner of Inland Revenue that the taxpayer is chargeable for tax no later than four months after the end of the year of assessment in which the taxpayer is chargeable. In general, individual tax returns are issued on the first working day of May following the tax year-end, which is 31 March. Extensions to the filing deadline are at the discretion of the IRD. Other issues Work permit/visa requirements A visa must be applied for before an individual enters Hong Kong. The type of visa required will depend on the purpose of the individual s entry into Hong Kong. Double taxation treaties Hong Kong has entered into double taxation arrangements with more than 20 countries to mitigate double taxation and allow cooperation between Hong Kong and overseas tax authorities in enforcing their respective tax laws. Negotiations are currently being held with other countries. 2 For aircrews/shipping crews, the test is slightly modified to consider both the current year of assessment and two consecutive years of assessment (one of which is the current year of assessment).

Permanent establishment implications The issue of whether a business is carried on in Hong Kong or whether profits are considered to be sourced in Hong Kong is a question of fact. Case law has established that very little actual activity needs to be performed in Hong Kong for an offshore entity to be regarded as carrying on business in Hong Kong. Depending on the nature of the particular income concerned, the source of profits is usually ascertained by looking at the operations that produce the profits in question and where those operations take place. Indirect taxes There is currently no value-added tax (VAT) or goods and services tax (GST) levied in Hong Kong. Transfer pricing In December 2009, the IRD released Departmental Interpretation and Practice Notes (DIPN) Number 46, which sets out its interpretation and practice regarding transfer pricing methodologies and related issues. DIPN 46 provides, for the first time, a comprehensive transfer pricing framework in Hong Kong. DIPN 46 is generally consistent with the Organisation for Economic Co-operation and Development (OECD) guidelines and international transfer pricing practices. DIPN 46 states that the IRD will apply the arm s-length principle to determine the appropriate price in the context of controlled transactions entered into by taxpayers and related parties located in other tax jurisdictions (whether or not Hong Kong has a double taxation agreement signed with those jurisdictions). Local data privacy requirements Hong Kong has data protection laws. Exchange control There are currently no foreign exchange controls on fund transfers. Nondeductible costs for assignees In general, a corporate deduction for expenses is allowed to the extent to which the expenses are incurred and related to profits assessable in Hong Kong. A deduction is only available for expenses that are related to revenue.

kpmg.com/socialmedia The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation. independent firms are affiliated with KPMG International. KPMG International provides no client services. No member firm has any authority to obligate or bind KPMG International or any other member firm vis-à-vis third parties, nor does KPMG International have any such authority to obligate or bind any member firm. All rights reserved. The KPMG name, logo and cutting through complexity are registered trademarks or trademarks of KPMG International. Designed by Evalueserve. Publication name: Thinking Beyond Borders Hong Kong Publication number: 121073 Publication date: November 2012