Hong Kong Mutual Agreement Procedure — Double Tax Relief
When both Hong Kong and an overseas jurisdiction tax the same income, double taxation results. The Mutual Agreement Procedure (MAP) allows the two countries' competent authorities to negotiate a resolution. Our specialists manage this complex process to eliminate or minimise double tax.
Mutual Agreement Procedure Specialist
When both Hong Kong and an overseas jurisdiction tax the same income, double taxation results. The Mutual Agreement Procedure (MAP) allows the two countries' competent authorities to negotiate a resolution. Our specialists manage this complex process to eliminate or minimise double tax.
⚠ MAP Must Be Filed Within Strict Treaty Time Limits
Most tax treaties impose a time limit (typically 3 years from the first notification of the double-taxing assessment) within which a MAP request must be filed. Missing this deadline permanently forfeits the right to MAP relief. Act immediately upon receiving an assessment that creates double taxation.
您是否正面對以下稅務問題?
Transfer Pricing Double Taxation
When Hong Kong adjusts intercompany pricing upward and the overseas jurisdiction doesn't give a corresponding credit adjustment, the same income is taxed twice.
Permanent Establishment Dispute
Both HK and an overseas jurisdiction may claim taxing rights over the same business profits, arguing a PE exists in their territory.
Treaty Time Limit Approaching
The 3-year clock for filing a MAP request starts from the first notification of the double-taxing assessment. Delay can permanently forfeit MAP rights.
Arm's Length Price Dispute
Competent authorities may disagree on the arm's length price for intercompany transactions, creating a dispute that only MAP can definitively resolve.
適合對象
Groups where a transfer pricing adjustment in one country creates double taxation.
Businesses facing permanent establishment claims in both HK and overseas.
Taxpayers facing excess withholding tax that cannot be resolved through domestic claims.
Individuals or companies facing dual residency and dual taxation claims.
服務範疇
MAP Request Preparation
Prepare a comprehensive MAP request to the HK competent authority with full documentation of the double taxation position.
Competent Authority Liaison
Liaise with the HK competent authority (IRD) throughout the MAP process, providing additional information and attending meetings.
Double Tax Analysis
Analyse the double taxation position, identify the applicable treaty provisions, and determine the MAP relief available.
APA-MAP Integration
For cases involving both an ongoing APA and a MAP dispute, integrate the processes to achieve the most efficient resolution.
簡單、高效、專業
Double Tax Assessment
Analyse the double taxation position and confirm MAP eligibility under the applicable treaty.
1-2 weeksMAP Request Filing
Prepare and file MAP request with HK IRD within the treaty time limit.
2-4 weeksCA Negotiation
Competent authorities negotiate a bilateral resolution — may involve multiple rounds of exchange.
12-48 monthsResolution Implementation
Implement the agreed MAP resolution, including any refunds or adjustments required.
Post-resolution為真實客戶帶來真實成果
HK-Japan TP adjustment — royalty double taxation
- Japan NTA adjusted royalty rate upward
- HK IRD would not accept offsetting reduction
- MAP request filed under HK-Japan treaty
- CA agreement reached — double tax eliminated
PE dispute — HK company and UK operation
- HMRC claimed UK PE of HK company
- Double taxation on GBP 2M profits
- MAP filed under HK-UK treaty
- PE claim withdrawn by HMRC — double tax resolved
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