HK Fund Tax: 0% on Carried Interest, Offshore Fund Exemption, and REIT Transparency — Done Properly
Hong Kong offers some of the world's most fund-friendly tax regimes — the s.20AM offshore fund exemption, a 0% concessionary rate on carried interest, full REIT tax transparency, and the FIHV exemption. But the conditions are strict, the documentation demanding, and the penalties for getting it wrong are severe. We ensure your fund structure is fully optimised and defensible.
Fund & REIT Tax Advisory
Hong Kong offers some of the world's most fund-friendly tax regimes — the s.20AM offshore fund exemption, a 0% concessionary rate on carried interest, full REIT tax transparency, and the FIHV exemption. But the conditions are strict, the documentation demanding, and the penalties for getting it wrong are severe. We ensure your fund structure is fully optimised and defensible.
⚠ s.20AM Warning: Offshore Fund Exemption Is Increasingly Challenged by IRD
The s.20AM exemption requires careful, ongoing management. IRD is increasingly scrutinising whether funds meet all 10 qualifying conditions — particularly whether central management and control is exercised from Hong Kong. Investment committee meetings in HK, decisions by HK-based personnel, and management from HK offices are all triggers that can make the fund HK-resident and destroy the exemption entirely. Funds that have not recently reviewed their compliance position are at risk.
您是否正面對以下稅務問題?
s.20AM Central Management & Control Risk
If IRD determines the fund is managed and controlled from HK — because investment committee meetings happen here or key decisions are made by HK-based personnel — the fund loses non-resident status and all exempt gains become taxable.
Carried Interest Taxed at 16.5% Instead of 0%
Since 2020, qualifying carried interest is subject to 0% profits tax. But many managers who qualify are not claiming the rate due to inadequate documentation or incorrect analysis — leaving significant tax on the table.
Management Fee vs Performance Fee Confusion
Management fees are fully taxable at 16.5%. Performance fees and carried interest have distinct treatment. Misclassifying one as the other triggers IRD adjustments and potential penalties.
REIT Distribution Unoptimised for Non-Resident Holders
SFC-authorised REITs are tax-transparent, but distribution waterfalls not designed with DTA access in mind leave significant withholding tax savings unclaimed for institutional holders.
適合對象
SFC-licensed PE managers seeking 0% carried interest, s.20AM compliance, and optimal management fee treatment.
VC managers using Limited Partnership Fund (LPF) structures seeking carried interest planning and s.20AM compliance.
SFC-authorised REIT managers requiring advice on tax transparency, distribution optimisation, and non-resident WHT planning.
Long/short equity, credit, and multi-strategy managers seeking confirmation of trading gains and performance allocation treatment.
Single and multi-family offices seeking FIHV exemption for tax-free returns on qualifying assets.
服務範疇
s.20AM Offshore Fund Exemption Review
Comprehensive review of all 10 qualifying conditions under s.20AM, identifying risks and implementing corrective measures.
Carried Interest — 0% Rate Planning
Structure and document carried interest to qualify for the 0% concessionary rate, including prior year amendment claims.
Fund Management Company Structuring
Optimise FMC tax structure including two-tier profits tax, deductible expenses, and fee classification.
REIT Tax Advisory & Distribution Planning
Advisory on REIT tax transparency, deductible distributions under s.26B, and non-resident unit holder WHT optimisation.
FIHV Family Office Exemption
Structure and apply for the FIHV exemption providing profits tax exemption on qualifying transactions for eligible family offices.
簡單、高效、專業
Initial Tax Position Review
Review your fund structure, management company arrangements, and current filing positions. Identify whether carried interest, s.20AM, or FIHV opportunities have been missed.
Week 1 (Free)Technical Analysis & Written Opinion
Comprehensive written opinion covering s.20AM qualifying conditions, carried interest eligibility, FMC two-tier access, REIT structuring, and FIHV eligibility.
Weeks 2-3Implementation & Documentation
Restructure fund agreements, establish carried interest register, prepare FIHV applications, update tax filing procedures, and file amended returns.
Weeks 3-8Annual Tax Compliance
Prepare annual profits tax returns, carried interest disclosures, FIHV filings, and manage all IRD queries and information requests.
Annual為真實客戶帶來真實成果
PE fund manager — carried interest restructured from 16.5% to 0%
- SFC-licensed PE manager, HK.4B AUM
- HKM carried interest taxed at 16.5% for 3 years
- Amended returns accepted without IRD query — full refund
REIT manager — distribution waterfall restructured for non-resident holders
- SFC-authorised REIT, HK.2B NAV
- 35% institutional non-resident unit holders
- Distribution characterisation and DTA claim process implemented
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