Preparing for a complex future

Page 43

Proposed tax concession for carried interest

A summary of the Institute’s submission in response to the FSTB consultation The Hong Kong Institute of CPAs issued a submission to the Financial Services and the Treasury Bureau (FSTB) on a proposal to provide a tax concession on carried interest. While the Institute is supportive of the general direction to offer a tax concession, the submission raises certain technical issues and points for clarification.

Eligible funds

The Institute calls for clarification if the requirements for profits tax exemption under sections 20AN and 20AO of the Inland Revenue Ordinance is a prerequisite for enjoying the preferential treatment for carried interest.

What is carried interest?

The proposal makes reference to the definition of “carried interest” in the United Kingdom with suitable modifications. Following the U.K.’s approach, carried interest means a sum which is received or accrued to the persons concerned by way of profit-related return. It is proposed that the “profit-related return” is defined to encompass three conditions: (i) the carried interest must arise only if the validated fund is making profits, (ii) the carried interest paid would vary substantially by reference to the profits; and (iii) return to external investors is also determined by reference to the same profits. It appears that these conditions could be problematic for carried interest paid under the United States model (i.e. on a deal-by-deal basis). Therefore, the Institute recommends a wider definition of “carried interest.”

Is carried interest capital or revenue in nature?

If the holding period is long enough, carried interest in part or in full could be regarded as capital in nature in both the U.K. and U.S. Hence, lower tax rates for capital gains may apply. However, carried interest recipients in Hong Kong would be subject to profits tax or salaries tax based on the entire amount received as no part of it would be considered as capital in nature. As capital gains are not taxable for profits tax, the preferential regime could be even more attractive if the government would agree to treating the carried September 2020

interest as capital in nature by reference to the holding period.

Qualifying transactions

The Institute recommends that what constitute “qualifying transactions” should be clearly explained in the legislation.

Qualified carried interest recipients

The FSTB proposed that individuals providing investment management services to eligible funds in Hong Kong who derive assessable income from the employment with the qualifying person could enjoy the concessionary tax rate. However, other employees, such as the chief financial officer, legal counsel, head of investor relations, could also be the carried interest recipients. Moreover, some investment advisors may need to travel overseas to handle projects. Therefore, the government may consider expanding the scope of the qualified carried interest recipients.

Tax loss

The FSTB proposed that tax loss of the carried interest recipient would not be eligible for carry forward. However, if the highly competitive rate is not set at zero, it is necessary to allow tax loss be carried forward to offset against future taxable profits.

Tax rate differential

The management fee and carried interest payable to the investment manager will be subject to profits tax at normal tax rates and the concessionary rate respectively. Hence, there is a tax differential. While it is common for management fees to be set at 2 percent of the fund’s assets under management, the Inland Revenue Department (IRD) expects that fees are charged at an arm’s length basis. To this end, would the IRD agree 2 percent as the deemed arm’s length amount? Clear guidance on what would be considered as an acceptable arm’s length basis would avoid unnecessary disputes.

Concessionary tax rate

Setting the concessionary tax rate at zero would make the preferential tax regime very attractive. However, there is a minimum tax rate requirement under the Base Erosion and Profit Shifting 2.0 initiative. Though most investment

managers would not hit the €750 million threshold, consideration should still be given to avoid potential tax leakage in rare cases.

Substantial activity requirements

The substantial activity requirements of (i) hiring of at least two investment professionals and (ii) a minimum of HK$3 million local spending are friendly to the investment managers. Yet, the government should ensure that this preferential tax regime would not be considered as a harmful tax practice by the Organization for Economic Cooperation and Development.

Accounting standards

Many existing funds use Cayman structures and prepare their accounts under U.S. Generally Accepted Accounting Principles (GAAP). Yet, the IRD only accepts accounts prepared under Hong Kong Financial Reporting Standards. GAAP conversion is time consuming and cumbersome. How can this be streamlined?

Timing difference on recognition

Expense and income recognition in the hands of the fund and the investment manager are governed by two sets of accounting standards. Timing difference for the two parties may occur. The Institute calls for clarification on the acceptable tax treatments on the amounts recognized in the two parties’ accounts.

The role of auditors

Under the FSTB’s proposal, auditors have a role to play to report that the carried interest payers are validated funds and the carried interest recipients satisfy the substantial activity requirements. This article is However, it contributed by is unclear to William Chan, us what the Chairman of the exact reporting Institute’s Taxation requirements Faculty Executive are, e.g. level of Committee and Partner, assurance and Grant Thornton, and therefore the Eric Chiang, Deputy Institute sought Director, Advocacy and clarification on Practice Development the same. at the Institute 41


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Articles inside

Article contributors

29min
pages 73-92

November 2020 An overview of the OECD’s Base Erosion and Profit Shifting 2.0 Pillar Two blueprint

10min
pages 67-69

December 2020 Examining the new DIPN covering ship leasing and management tax concessions

11min
pages 70-72

November 2020 An overview of the OECD’s Base Erosion and Profit Shifting 2.0 Pillar One blueprint

11min
pages 64-66

October 2020 The interaction of the accounting standards with the tax laws

10min
pages 61-63

October 2020 Views exchanged during the 2020 annual meeting with the IRD

9min
pages 58-60

October 2020 Leadership Profile: Moving on up Curtis Ng, Regional Tax Partner-in-Charge, Northern Region, at KPMG China

11min
pages 52-57

September 2020 Upfront lump sum spectrum utilization fees held as capital in nature and not deductible

8min
pages 50-51

September 2020 Roundtable discussion: Rules are changing: Will Hong Kong stay competitive? Experts discuss tax strategies at the Institute’s virtual Annual Taxation Conference

14min
pages 44-49

August 2020 Hong Kong revises DIPN on APAs to help manage tax uncertainties

9min
pages 40-42

September 2020 Proposed tax concession for carried interest

4min
page 43

August 2020 IRD issues revised practice note explaining the tax treatment of financial instruments under HKFRS 9

9min
pages 38-39

July 2020 A new limited partnership fund regime for Hong Kong

3min
page 35

July 2020 A summary of the taxation of offshore indirect transfers toolkit

11min
pages 32-34

June 2020 Taxation of charities

8min
pages 30-31

June 2020 Roundtable discussion: Navigating China’s tax system Experts discuss China tax matters at the China Taxation Conference

15min
pages 24-29

April 2020 IRD issues guidance on cryptocurrency taxation

10min
pages 16-17

May 2020 Revised DIPN 39 raises controversies over an apparently inconsistent application of the source principles

10min
pages 21-23

March 2020 Paying taxes in China

9min
pages 13-15

April 2020 Massive U.S. tax relief act to combat economic fallout from COVID-19

3min
page 20

February 2020 Economic substance law – the British Virgin Islands

9min
pages 10-12

Foreword

2min
page 3

January 2020 Court of Final Appeal decision on employee payments

10min
pages 4-6
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