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Results: 1-10 of 18

New tax treaty between Hong Kong and mainland China which has consequences for shipping, airline and securities trading companies
  • Mayer Brown JSM
  • China, Hong Kong
  • April 13 2015

This is relevant mainly for (1) Hong Kong companies or investment funds selling securities in Chinese listed companies and (2) ship or aircraft


Global corporate insurance & regulatory bulletin - first quarter 2014
  • Mayer Brown LLP
  • Singapore, United Kingdom, USA, Vietnam, China, European Union, Hong Kong
  • April 29 2014

As reported in our prior bulletins, on 18 July 2013 the International Association of Insurance Supervisors (“IAIS”) published a methodology for


Tax arrangements in relation to dividend payments of Hong Kong listed Mainland China companies
  • Mayer Brown LLP
  • China, Hong Kong
  • August 2 2011

In a reply from the State Administration of Taxation (SAT) of Mainland China to the Hong Kong Government dated 28 July 2011, the SAT clarified the arrangements in relation to tax payable to the Mainland China Government for dividends paid by non-foreign invested Mainland China companies listed in Hong Kong


Alan T. S. Yip
  • Mayer Brown LLP

Colin Scagell
  • Mayer Brown LLP

David W. Alberts
  • Mayer Brown LLP

Duncan A. W. Abate
  • Mayer Brown LLP

Gerry P. O’Brien
  • Mayer Brown LLP

John M. Hickin
  • Mayer Brown LLP

Martin Mankabady
  • Mayer Brown LLP