Issue: 1
Published: 04/02/2008
Ray Smith
In this bulletin, we examine a recent decision of the Court of
Final Appeal which provides a long overdue "reality check" and a
dose of common sense to the profits tax assessment process.
Taxpayers and Tax advisors should welcome the latest decision from
the Court of Final Appeal in ING Baring Securities (Hong Kong) Ltd
v Commissioner of Inland Revenue, which brings clarity and more
certainty in the area of the "source of profits" issue.