2023-05-11Hong Kong Profits Tax – Source of Profits
(1)
The person must carry on a trade, profession or business in Hong Kong;
(2)
The profits to be charged must be from such trade, profession or business carried on by the person in Hong Kong; and
(3)
The profits must be profits arising in or derived from Hong Kong
IRD Guidelines
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has properly reviewed and structured the way in which it intends to undertake its operations;
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will generate the necessary documentation to identify and support the offshore claim; and
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will produce clear documentation and transaction trail.
Profits tax exemption is not an automatic process and subsequently would require to pass the tax surveillance as could be raised by the IRD. Sufficient information and documents have to be provided to the IRD to show that the whole operation and all the business activities of the company have been carried out by the directors/employees outside Hong Kong. In order to prepare for the offshore profits tax exemption claim, all available accounting books, invoices of sales and purchases, orders, emails, bank statements, payment and receipt vouchers, bank outward and inward remittance documents, copy of contracts with any business parties, etc. should be kept by the Company and provide them to IRD as evidence of the offshore business operation model.
- https://www.ird.gov.hk/eng/tax/bus_pft.htm
- https://www.ird.gov.hk/eng/paf/bus_pft_tsp.htm
- https://www.ird.gov.hk/eng/pdf/dipn21.pdf