Hong Kong
The relevance of the OECD and UN Model Conventions and their Commentaries for the interpretation of Hong Kong tax treatiesIntroductionHong Kong's treaty network is underdeveloped. As of January 2011, it has concluded comprehensive tax treaties with eighteen countries. Tax treaty negotiations ar...
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Published in | The Impact of the OECD and UN Model Conventions on Bilateral Tax Treaties pp. 501 - 531 |
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Main Author | |
Format | Book Chapter |
Language | English |
Published |
Cambridge University Press
17.05.2012
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Online Access | Get full text |
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Summary: | The relevance of the OECD and UN Model Conventions and their Commentaries for the interpretation of Hong Kong tax treatiesIntroductionHong Kong's treaty network is underdeveloped. As of January 2011, it has
concluded comprehensive tax treaties with eighteen countries. Tax treaty
negotiations are in progress with the Czech Republic, Denmark, Finland, India,
Italy, Korea (Republic of Korea), Macau Special Administrative Region (Macau
SAR), Malaysia, Mexico, Pakistan, Saudi Arabia, Spain and United Arab
Emirates.At present, there are mainly three tax treaty models in the world: the OECD
Model, the UN Model and the US Model. These three Models have been regularly
updated in the last few years since they were first issued. Hong Kong has made
reference to these Models in concluding its tax treaties. The following sections
will examine the impact of these Models, especially the OECD and UN Models on
Hong Kong's treaties. The US Model is not the subject of this study but it is
referred to where necessary.The relevance of the Models and their respective
CommentariesHong Kong’s tax treaties have been drafted on the basis of the OECD and UN
Models, though in some (rare) cases the US Model is referred to. In the Inland
Revenue Department (IRD)’s Departmental Interpretation and Practice Notes No. 44
(revised) (DIPN 44), the Commissioner of the Inland Revenue notes: ‘In the
interpretation and application of the provisions of the Comprehensive
Arrangement (between Hong Kong and China), both Sides will refer to the Vienna
Convention on the Law of Treaties (1969), the Commentaries on the relevant
Articles of the Model Tax Conventions of the OECD and the United Nations, as
well as to their respective principles of interpretation of taxation law.’ |
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ISBN: | 1107019729 9781107019720 |
DOI: | 10.1017/CBO9781139095686.018 |