Hong Kong together with London, New York and Tokyo is acknowledged
to be one of the highest respected financial centres in the
world. It is one of the world's busiest cities and its efficiency
as a financial centre and as a hub for transacting business
in Asia is world-renowned. Hong Kong is the leading Asian
centre for both finance and commerce and ranks as the world's
third largest financial centre after New York and London.
There are over 135 licensed banks with over 120 foreign banks
having representative offices in Hong Kong and a further 39
licensed deposit taking Finance Companies, all of which play
an active role in the financing of international trade and
commerce.
Hong Kong is not normally regarded as an offshore country
as it is a famous for being a major financial centre, however,
it is one of the few countries in the world that tax on a
territorial basis. Many countries levy corporate income tax
on a different basis and they tax the world-wide profits of
a business, which includes profits derived from activities
outside of the country. Unlike other Asian countries such
as Japan, Korea, Thailand, India and China; Hong Kong does
not have any exchange or capital controls which therefore
allow funds to flow freely in and out of the territory.
Hong Kong profits tax is ONLY charged on profits derived from
a trade, profession or business carried on in Hong Kong. Consequently,
this means that a company which carries on a business in Hong
Kong, but derives profits from another place, is not required
to pay tax in Hong Kong on those profits. Hong Kong sourced
income is currently subject to a rate of taxation of 17.5
per cent. There is no tax in Hong Kong on capital gains, dividends
and interest earned.
The factor that determines the locality of profits from trading
in goods and commodities is generally the place where the
contracts for purchase and sale are effected.
"Effected" does not only mean that the contracts
are legally executed. It also covers the negotiation, conclusion
and execution of the terms of the contracts. If a business
earns commission by securing buyers for products or by securing
suppliers of products required by customers, the activity
which gives rise to the commission income is the
arrangement of the business to be transacted
between the principals. The source of the income is the place
where the activities are performed. If such activities are
performed in Hong Kong, the income has a source in Hong Kong.
Consequently, if a Hong Kong company's trading or business
activities are based outside Hong Kong, say in USA, no income
tax will be levied in Hong Kong. This makes Hong Kong an extremely
cost- effective tax planning vehicle for trading.
Hong Kong will soon become a much more important jurisdiction
for tax planning as it is not subject to review by the OECD.
It is one of the only "offshore" banking centres which will
not be subject to the new directive on withholding tax on
savings accounts which will effect not only the EU Member
States but "all territories under their control" and Switzerland
and the USA. This leaves HK as one of the only respectable
international banking centres not subject to automatic exchange
of information on savings accounts belonging to EU residents.
With China pushing forward with the modernisation of its own
economy, the PRC has expressed the wish that Hong Kong should
assist in this endeavour. It has stated that its future development
will be based on market led reforms with socialist characteristics
and this has led to the opening up of its economy to foreign
investments. It is widely recognised that Hong Kong is and
will continue to be a significant gateway to China.
For more information on Hong Kong, please visit jurisdiction
section
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