Hong Kong Allows Deduction on Specified Intellectual Property Rights
Hong Kong's Inland Revenue Department (IRD) has clarified that capital expenditure incurred by companies doing business

The latest Departmental interpretation & Practice Note No. 49 (DIPN 49) relates to sections 16EA, 16EB and 16EC of the Inland Revenue Ordinance (IRO) that was issued in 2011 as part of a budget initiative to allow deduction for capital expenditure incurred when intellectual property rights (IPRs) -copyrights, registered designs or registered trademarks-- are purchased.
The DIPN 49 clarifies how it will determine:
* The deductions available to companies doing business in Hong Kong when they purchase Intellectual Property Rights (IPRs) when registration is still being processed and the claw-back arrangements for invalidated /surrendered IPR registrations.
* The arrangements needed to find out the true market value of an IPR for tax purposes.
*What the commissioner will consider when deciding if there has been a sale and license back of a specified IPR.
* If capital expenditure is deductible when incurred on purchasing IPRs used in cross-border activities.
* The licensing of IPRs for use outside Hong Kong.
* IPRs with registration in multiple jurisdictions.
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+1 408.515.6887