Court rules the profits of an interposed Hong Kong SAR trading company cannot be taxed Lewis Lu and John Timpany of KPMG China discuss the latest court judgment on the chargeability of a taxpayer’s trading profits. By John Timpany & Lewis Lu May 24 2022
Hong Kong SAR: Hong Kong SAR’s proposed family office tax concession regime By John Timpany & Lewis Lu April 27 2022
The EU updates tax ‘grey-list’ as Hong Kong SAR plans for tax law changes By John Timpany & Lewis Lu March 31 2022
Hong Kong SAR: What do the latest pillar two rules mean for businesses? By John Timpany & Lewis Lu January 21 2022
Hong Kong SAR’s Inland Revenue Department update on e-filing of profits tax returns By John Timpany & Lewis Lu January 07 2022
Hong Kong: Chief executive’s 2018 policy address sets out tax plan By Curtis Ng & Lewis Lu November 01 2018
Hong Kong: IRD publishes long awaited practice notes on transfer pricing By Curtis Ng & Lewis Lu October 15 2019
Hong Kong SAR's economic substance requirements for offshore jurisdictions By Curtis Ng & Lewis Lu May 28 2019
Tax means business – Hong Kong’s tax policies to increase competitiveness By ITR Correspondent January 16 2019
Hong Kong: New ruling clarifies taxing termination payments in Hong Kong By John Timpany & Lewis Lu February 04 2020
The EU adds Hong Kong SAR on its ‘grey list’ for tax purposes By John Timpany & Lewis Lu October 19 2021
Hong Kong SAR’s IRD issues guidance on tax issues arising from COVID-19 By John Timpany & Lewis Lu September 27 2021
Hong Kong SAR introduces the SFC’s subsidy scheme for OFCs and REITs By John Timpany & Lewis Lu July 14 2021