The Bill has been introduced into the Legislative Council (“LegCo”) on 16 December 2015 for scrutiny and approval. Upon enactment of the Bill, the relevant tax provisions will apply from 1 April 2016.
BACKGROUND
Under the current tax law, interest expenses paid by a CTC in Hong Kong to a lender which is not a financial institution will only be deductible for Hong Kong profits tax purposes if the recipient is subject to Hong Kong tax for the corresponding interest income. Generally speaking, a CTC cannot claim a tax deduction for interest expenses paid to its overseas associated companies if the overseas associated companies do not carry on a business in Hong Kong and are not subject to Hong Kong profits tax. On the other hand, interest income received by the CTC from its borrowing from and lending of money to local and overseas associated companies would be chargeable to Hong Kong profits tax.
To remove the above mentioned obstacle and to provide a more tax-friendly environment for CTC operation, the Government propose to amend the law.