The presentation will discuss the tax efficient structure and tax consideration of Chinese enterprises planning to be listed in Hong Kong. Specifically, the followings will be discussed:
Tax Due Diligence
We would discuss the requirements for the completeness, adequacy and timeliness of China tax filing for listing in Hong Kong.
Restructuring
We would discuss the need for group restructuring for listing in Hong Kong, the potential tax exposure for restructuring, for example, potential China tax filing required for restructuring , etc.
Transfer Pricing (including PRC disclosure requirements for related party transactions)
We would discuss the relevant transfer pricing issues which China enterprises need to aware, for example, the requirements to conduct related party transactions at arm’s length, the requirements to prepare and submit the annual related party transaction form, transfer pricing documentation requirements (including Country-by-Country report, Master files and Local files), etc.
Event details
Date: |
12 November 2020 (Thursday) |
Time: |
2:30 p.m. - 4:00 p.m. (Hong Kong) |
Fee: |
Free of charge & by invitation only |
Registration: |
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Registration deadline: |
11 November 2020 |
Language: |
Mandarin |
Organiser: |
RSM Hong Kong (Partner with Wolters Kluwer) |
Note: The organisers reserve the right to change the date and programme due to circumstances beyond our control.
Experienced speaker
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Mr. Alan Chow Alan is specialized in international tax and business advisory services, in particular, PRC and Hong Kong tax advisory services. Alan has 12 years of experience in taxation, prior to joining RSM, he has worked in Big4 and other international accounting firms. Alan is experienced in handling cross border tax advisory service such as cross-border investment structure, tax due diligence and transfer pricing to private and listed groups in various sectors. Qualifications:
Responsibilities:
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