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Transcription:

International Tax Conference Hong Kong s Experience with its International Tax Treaty Network Richard Wong Commissioner of Inland Revenue 19 June 2014 1

Introduction Purpose of signing a tax treaty Fairness Avoidance of double taxation Prevention of tax evasion or double non-taxation Exchange of information ( EoI ) 2

Hong Kong s Tax Treaty Network History Legal framework - relevant provisions were included when the Inland Revenue Ordinance was first enacted in 1947 Limited double taxation agreement ( limited DTA ) 6 limited DTAs on shipping income 28 limited DTAs on air services income 2 on both shipping and air services income 3

Limited Double Taxation Agreements Air Services Income Agreements Hong Kong s Tax Treaty Network ~ Bangladesh, Canada, Croatia, Denmark, Estonia, Ethiopia, Fiji, Finland, Germany, Iceland, Israel, Jordan, Kenya, Korea, Kuwait, Laos, Macao SAR, Maldives, Mauritius, Mexico, Netherlands, New Zealand, Norway, Russian Federation, Seychelles, Sweden, Switzerland and United Kingdom Shipping Income Agreements ~ Denmark, Germany, Netherlands, Norway, United Kingdom and USA Airline and Shipping Income Agreements ~ Singapore and Sri Lanka 4

Hong Kong s Tax Treaty Network History Comprehensive double taxation agreement ( CDTA ) HKSAR Government announced in the 1998/99 Budget its intention to negotiate CDTA with major trading partners First limited arrangement with Mainland China was signed in 1998 with limited scope and no EoI First CDTA signed with Belgium in 2003 5

Hong Kong s Tax Treaty Network 2003 2005 2006 2007 2008 2010 2011 2012 2013 In Progress Belgium Thailand Mainland China Luxembourg Vietnam Brunei Netherlands Portugal Spain Jersey Malaysia Italy Guernsey Bahrain Bangladesh Indonesia Hungary Kuwait Austria Czech Republic Switzerland Malta Mexico Canada Qatar Finland India Israel Korea United Kingdom Ireland Liechtenstein France Japan New Zealand Latvia Macao SAR Mauritius Pakistan Russia Saudi Arabia South Africa United Arab Emirates 6

Hong Kong s Tax Treaty Network Important Milestones Major hurdle relating to EoI article Old EoI regime ~ Domestic interest ~ 1995 version of OECD Model Tax Convention London summit of the G20 leaders - Apr 2009 5 th meeting of the OECD Global Forum on Transparency and Exchange of Information for Tax Purposes - Sep 2009 Hong Kong s phase I and phase II peer review reports were adopted by the Global Forum - overall rating of Largely Compliant 7

Hong Kong s Tax Treaty Network Important Milestones Hong Kong has all along been very supportive of international efforts to promote tax transparency Openly endorsed OECD s principles of tax transparency in 2005 Conducted domestic consultations in 2005 and 2008 8

Hong Kong s Tax Treaty Network Important Milestones Introduced the legislative amendment bill in Jun 2009 The Inland Revenue (Amendment) Ordinance 2010 was enacted on 6 Jan 2010 The Inland Revenue (Disclosure of Information) Rules were passed on 3 Mar 2010 Both took effect on 12 Mar 2010 9

Inland Revenue (Amendment) Ordinance 2010 Main provisions Permit disclosure of information under CDTAs Permit gathering of information without domestic tax interest Power to apply for search warrants Impose penalties for non-compliance Enable IRD to collect information notwithstanding data collection principles under Personal Data (Privacy) Ordinance 10

Inland Revenue (Disclosure of Information) Rules Major safeguards Approval of disclosure request No retrospective effect on disclosure of information Notification of the disclosure request to the subject person (unless exception applies) Correction and review mechanism If not previously notified due to tight time constraint, must notify subject person upon disclosure of information 11

Hong Kong s Tax Treaty Network Important Milestones Since Mar 2010 - new EoI regime - 2004 version of OECD Model Tax Convention Signed 24 new CDTAs Upgraded EoI article of 3 existing CDTAs 27 CDTAs with EoI article up to OECD standard As at May 2014, Hong Kong signed a total of 29 CDTAs and 17 are with OECD countries 12

Hong Kong s Tax Treaty Network Important Milestones Pre-2013 - policy of pursuing effective EoI within the ambit of CDTA only Legal constraints - Hong Kong was not in a position to conclude Tax Information Exchange Agreement ( TIEA ) which did not provide for double taxation relief International standard - both CDTA and TIEA are regarded as equally valid instrument for implementing effective EoI International standard - preference for CDTA or TIEA cannot be a reason for refusal to enter into an EoI agreement 13

Hong Kong s Tax Treaty Network Important Milestones Conducted domestic consultations in mid-2012 and early 2013 Introduced the legislative amendment bill in Apr 2013 Enabling Hong Kong to enter into TIEAs Relaxation of tax types covered by EoI The Inland Revenue (Amendment) (No.2) Ordinance 2013 was enacted and took effect on 19 Jul 2013 First TIEA was signed in Mar 2014 with the USA 14

Benefits of Extending Hong Kong s Tax Treaty Network Foster closer economic and trading links Provide certainty to foreign investors Improve Hong Kong s business environment for MNEs Facilitate movement of capital, technology and talents 15

Benefits of Extending Hong Kong s Tax Treaty Network Relevant statistics 2013 vs 2009 Number of companies registered in Hong Kong increased by 50% Host to 7,449 overseas and Mainland China companies as compared to 6,397 Issue 28,380 employment and investment visas to overseas persons as compared to 20,988 16

Benefits of Extending Hong Kong s Tax Treaty Network Relevant statistics In 2011, total tax treaty relief Renminbi $5.5billion was granted in Mainland China Renminbi $3.1billion was attributable to the Hong Kong/Mainland CDTA, i.e. 56% 17

Implementation of Tax Treaties All 29 CDTAs have become effective except one Over 150 incoming EoI requests since 2007 Mutual agreement procedure Bilateral advance pricing arrangement Tight resources 18

Challenges Ahead Continue to expand tax treaty network Upgrade the Old EoI articles in two existing CDTAs Automatic EoI Action plan on base erosion and profit shifting ( BEPS ) 19

THANK YOU 20