Tax Objection & Appeal Specialist

Hong Kong Tax Objection & Appeal — Expert Dispute Resolution

The IRD makes incorrect assessments — it happens more often than taxpayers realise. Whether it's an inflated profits tax assessment, a rejected offshore income claim, or a disputed property tax valuation, you have the right to object and appeal. Our specialists achieve results.

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350+ Objections & appeals handled
75% Success rate on objections
1 month Time limit to file objection

Tax Objection & Appeal Specialist

The IRD makes incorrect assessments — it happens more often than taxpayers realise. Whether it's an inflated profits tax assessment, a rejected offshore income claim, or a disputed property tax valuation, you have the right to object and appeal. Our specialists achieve results.

⚠️

⚠ The 1-Month Objection Deadline Is Absolute

You have exactly 1 month from the date of the IRD assessment to file a formal Notice of Objection. This deadline is strictly enforced — if you miss it, you lose the right to dispute the assessment and it becomes legally enforceable. Contact us the moment you receive an assessment you believe is incorrect.

常見困擾

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Incorrect Profit Assessment

The IRD may issue a profits tax assessment based on estimated figures if it disputes your return or if you have not filed. These estimated assessments are frequently excessive.

⚠ Risk: Accepting incorrect assessment → paying tax on income you didn't earn

Offshore Income Claim Rejected

The IRD frequently rejects offshore income claims and issues assessments on the full amount. You have the right to dispute this through the formal objection process.

⚠ Risk: No objection → offshore claim permanently lost, full tax payable

Property Tax Assessment Disputed

Property tax assessments based on incorrect rental value assessments by the Rating & Valuation Department can be formally disputed.

⚠ Risk: Incorrect rental valuation → over-payment of property tax for years

Salaries Tax Assessment Disputed

IRD salaries tax assessments may incorrectly include housing benefits, share awards, or termination payments. Each has specific tax treatment that can be disputed.

⚠ Risk: Incorrect salaries assessment → over-payment on incorrect income basis
適合對象

適合對象

Businesses with disputed assessments

Companies who have received profits tax assessments they believe are incorrect.

Offshore income claim rejections

Taxpayers whose offshore income claims have been rejected by the IRD.

Property tax disputes

Property owners disputing property tax assessments or rental value determinations.

Individual salaries tax disputes

Individuals disputing salaries tax assessments on disputed income items.

服務範疇

服務範疇

Notice of Objection Filing

Prepare and file a comprehensive Notice of Objection to the IRD within the 1-month deadline.

Urgent deadline management and objection preparation

Objection Negotiation

Negotiate with IRD assessors to resolve the objection at the most favourable level without proceeding to Board of Review.

Evidence preparation and IRD negotiation meetings

Board of Review Representation

Represent your case before the Board of Review (Tax Tribunal) if the objection is not resolved satisfactorily.

Case preparation, witness statements, and tribunal advocacy

Assessment Analysis

Analyse the IRD assessment to identify the grounds for objection and the strength of the case.

Legal and factual assessment analysis and strategy advice
服務流程

簡單、高效、專業

1

Urgent Assessment Review

Immediate review of the disputed assessment and identification of objection grounds.

Within 48 hours
2

Objection Filing

Prepare and file Notice of Objection within the 1-month deadline.

Within 1 month
3

Negotiation

Gather evidence and negotiate with IRD to resolve the objection favourably.

3-12 months
4

Board of Review (if required)

Prepare and present the case to the Board of Review if negotiation fails.

12-24 months
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Case Study

Trading company — offshore claim rejected by IRD

HKD 3,200,000 節省
  • IRD raised assessment on full HKD 22M profits
  • Offshore claim: 50% should be exempt
  • Objection filed with comprehensive activity evidence
  • IRD accepted 40% offshore — HKD 8.8M saving over 3 years
"They fought our case with expertise and achieved a result we couldn't have gotten alone."
C
已驗證客戶 Case Study
Case Study

Individual — estimated salaries assessment

HKD 280,000 節省
  • IRD estimated income at HKD 2.8M (actual: HKD 1.4M)
  • Objection filed with employment contract and payslips
  • IRD accepted corrected income figure
  • Assessment reduced by HKD 1.4M — tax saving HKD 210K
"Simple, quick resolution once they filed the proper objection."
C
已驗證客戶 Case Study
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常見問題

常見問題

快速解答您的疑問

The formal objection process: (1) File a Notice of Objection within 1 month of the assessment date — stating the grounds of objection; (2) The IRD issues a "holdover" of the disputed tax during the objection period (you don't need to pay the disputed amount while under objection); (3) The IRD considers the objection and may request additional information or meetings; (4) The Commissioner issues a Determination — either confirming, reducing, or vacating the assessment; (5) If unsatisfied with the Determination, you can appeal to the Board of Review within 1 month.
No. Under s.64 of the IRO, you can apply for a holdover of the disputed amount while your objection is pending. However, you must pay the undisputed portion of the assessment. If you are disputing the entire assessment (e.g., an estimated assessment where you filed nil return), you can apply for holdover of the full amount. Interest does accrue on the outstanding amount if your objection is ultimately unsuccessful.
The Board of Review is an independent tribunal that hears appeals from taxpayers who are dissatisfied with the Commissioner's determination on their objection. It functions like a court — with formal hearings, evidence, and legal argument. Appeals to the Board are appropriate when: the legal question is genuinely uncertain; the amount at stake justifies the cost; the facts strongly support the taxpayer's position; or the Commissioner's determination is clearly wrong. Board of Review decisions are published and can be further appealed to the Court of Appeal.
If you fail to file a tax return, or if the IRD disputes your return significantly, it can raise an estimated assessment under s.59 of the IRO — setting profits at whatever level the IRD considers reasonable. These estimated assessments are often significantly higher than actual profits. The burden shifts to the taxpayer to disprove the estimate by producing proper accounts and records. Filing the proper tax return with supporting accounts is usually the first step in objecting to an estimated assessment.
Yes — many successfully appealed cases at the Board of Review involve offshore income claims. The key is demonstrating, with documentary evidence, that the profit-generating activities genuinely occurred outside Hong Kong. This requires: contracts executed overseas; evidence of overseas meetings and negotiations; correspondence and communications occurring offshore; and witnesses or affidavits from overseas parties confirming the offshore nature of activities. A well-documented offshore claim has strong appeal prospects even if initially rejected.

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