Shipping & Maritime Tax Specialist

Hong Kong Shipping & Maritime Tax — Expert Advisory

Hong Kong is one of the world's leading maritime centres with favourable tax treatment for qualifying shipping income. Navigate the exemptions, structure your fleet operations, and ensure compliance for seafarer employment and port agency operations.

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0% Tax on qualifying shipping income
Top 5 Global maritime centre

Shipping & Maritime Tax Specialist

Hong Kong is one of the world's leading maritime centres with favourable tax treatment for qualifying shipping income. Navigate the exemptions, structure your fleet operations, and ensure compliance for seafarer employment and port agency operations.

⚠️

⚠ Shipping Tax Exemptions Have Strict Conditions

The profits tax exemption for offshore shipping income is not automatic. Failing to structure operations correctly, or mixing shipping and non-shipping income without proper ring-fencing, can result in the IRD treating previously exempt income as fully taxable.

常見困擾

您是否正面對以下稅務問題?

Offshore Shipping Income Exemption

Profits from operating ships outside Hong Kong waters are exempt from profits tax under s.23B IRO. But the boundaries of "offshore" and qualifying activity are complex.

⚠ Risk: Incorrect classification → fully taxable shipping income

Seafarer Employment Tax

Hong Kong seafarers working on international voyages may be exempt from salaries tax for days outside HK. Employer reporting must correctly reflect sea service days.

⚠ Risk: Full HK salaries tax on all seafarer income

Port Agency vs Shipping Income

Ship agents earn commission from HK port operations, which is taxable in HK. Mixing agency income with exempt shipping income without ring-fencing creates complexity.

⚠ Risk: Loss of exemption on shipping income

Vessel Capital Allowances

Ships registered in Hong Kong may qualify for capital allowances on vessel cost. The interaction with the shipping income exemption must be carefully managed.

⚠ Risk: Allowances offset against taxable income incorrectly
適合對象

適合對象

Ship owners & operators

Companies owning or operating cargo vessels, tankers, or bulk carriers.

Shipping management companies

Ship management firms providing crew and technical management services.

Port agents & shipping agents

HK port agents handling vessel calls and cargo operations.

Freight forwarding companies

International freight forwarders with HK operations.

服務範疇

服務範疇

Shipping Income Tax Structuring

Structure your shipping operations to maximise the s.23B offshore shipping income exemption legitimately.

Ring-fencing analysis and operational structure review

Maritime Profits Tax Return

Prepare profits tax return with correct bifurcation of exempt shipping and taxable HK-source income.

Separate schedules for HK and offshore shipping activities

Seafarer Salaries Tax

Calculate seafarer salaries tax obligations correctly using sea service day counts and overseas voyage documentation.

IR56B preparation and seafarer payroll review

Maritime Treaty Planning

Leverage Hong Kong's tax treaty network to minimise double taxation on shipping income earned in treaty partner jurisdictions.

Treaty shopping analysis for fleet deployment
服務流程

簡單、高效、專業

1

Fleet & Operations Review

Analyse your vessel fleet, trade routes, income streams, and crew employment arrangements.

2-3 days
2

Exemption Eligibility Analysis

Determine which income qualifies for the shipping exemption and structure income ring-fencing.

2-3 days
3

Return Preparation

Prepare profits tax return with exempt/taxable income schedules and crew employment returns.

5-7 days
4

Ongoing Fleet Tax Advisory

Advisory support for fleet expansion, new routes, and vessel acquisition or disposal tax planning.

Ongoing
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Case Study

Bulk carrier operator — 6 vessels, HK-registered

HKD 1,200,000 節省
  • Annual shipping revenue HKD 85M
  • S.23B exemption structure established
  • HK vs offshore income ring-fenced properly
  • Seafarer payroll tax correctly calculated
"Their maritime tax expertise is exceptional. They saved us over HKD 1M in the first year."
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Case Study

Ship management company — 12 managed vessels

HKD 380,000 節省
  • Management fee income HKD 18M
  • Management vs shipping income separated
  • Treaty relief claimed on foreign income
  • Crew employment structure reviewed
"Finally a tax advisor who understands the shipping industry."
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常見問題

常見問題

快速解答您的疑問

Under s.23B of the IRO, profits from the operation of ships outside Hong Kong waters are exempt from profits tax, provided the ship is registered under the Merchant Shipping (Registration) Ordinance or the operator is carrying on business in HK. Income from ships operating exclusively within HK waters (e.g., harbour ferries) is taxable. The key is the distinction between HK-waters and international operations.
Hong Kong seafarers are subject to salaries tax on their total income, but they can claim a time-apportionment deduction for days spent outside HK on sea service. If a seafarer spends 200 days at sea outside HK in a 365-day year, approximately 54.8% of their income is excluded from HK salaries tax. Proper voyage logs and sea service certificates are essential documentation.
Ship management fees received by a Hong Kong management company for providing technical or crew management services are taxable in HK as the services are rendered from HK. These are distinct from shipping income and do not qualify for the s.23B exemption. Careful structuring is needed if both management and shipping operations are conducted from HK.
Yes, vessels registered in HK and used in a qualifying trade are plant & machinery for capital allowance purposes under Part VI of the IRO. Initial allowances (60%) and annual allowances (10-30% reducing balance) are available. However, for vessels whose income is exempt under s.23B, the capital allowances can only be offset against taxable shipping income, not exempt shipping income.
Yes. Commissions earned by HK ship agents for arranging port calls, cargo handling, and husbandry services for vessels in HK waters are Hong Kong-source income and fully taxable under profits tax. This applies even if the ship owner is non-resident. Port agency income cannot benefit from the s.23B shipping income exemption.

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