April 2020 - Hong Kong issued advance ruling on interpretation of permanent establishment
April 2020 - Hong Kong issued advance ruling
This advance ruling is relevant to Transfer Pricing Rule 2 (“TP Rule 2”), which commenced its application in 2019. Rule 2 in Section 50AAK of the Inland Revenue Ordinance (“IRO”) deals with the attribution of profits to a PE of a non-Hong Kong resident in Hong Kong under the separate enterprises principle.
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