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Insights

CW CPA Professional Insights on China and Cross-Border Business

Topics
Hong Kong’s implementation of the OECD Pillar Two framework introduces new notification and reporting obligations for multinational enterprise groups. This article outlines the statutory deadlines for top-up tax notifications and returns, the role of the IRD Pillar Two Portal, and key compliance considerations for Hong Kong constituent entities.
Hong Kong’s Pillar Two Portal enables multinational groups to submit required notifications and top-up tax filings under the global minimum tax regime. This article outlines the portal’s purpose, registration timeline, and practical steps for Hong Kong constituent entities.
This article explains the main safe harbour mechanisms under the OECD/G20 Pillar Two global minimum tax framework. It outlines the Transitional CbCR Safe Harbour, the phased increase in Simplified ETR thresholds from 15% to 17%, and the role of the QDMTT Safe Harbour in preventing duplicative top-up taxation. Practical guidance is provided on how multinational enterprises can apply these mechanisms during the early implementation period of the GloBE rules.
Hong Kong’s implementation of the Foreign-Sourced Income Exemption (FSIE) regime and the OECD BEPS 2.0 Pillar Two global minimum tax framework has altered the practical value of several traditional tax planning approaches. This article examines how offshore profits claims, the two-tier profits tax rate, and foreign-sourced passive income are treated under the evolving regulatory environment, and what the changes mean for multinational groups and SMEs operating through Hong Kong.
A comparative analysis of how Hong Kong and Singapore are implementing the OECD BEPS 2.0 Pillar Two global minimum tax from 2025. The article examines the HKMTT, Singapore’s DTT and MTT regimes, incentive design, compliance frameworks, and strategic implications for multinational investors operating across Asia.
China’s 2025 Catalogue of Encouraged Industries for Foreign Investment, effective 1 February 2026, expands the number of encouraged sectors to 1,679 and reflects updated policy priorities in advanced manufacturing, digital infrastructure, and regional development. The revised catalogue introduces new opportunities for foreign investors seeking preferential tax, customs, and regional investment incentives.