WebSection 15(1). It added in DIPN No. 22 (revised) that where an assessment was originally made on the basis of Sections 15 and 21A of the IRO, an additional assessment can be made if it was subsequently found that the proper charging section should be Section 14 of the IRO. Source of royalty income under basic charge WebOct 21, 2024 · There are basically 5 method of deduction mentioned by the Inland Revenue Ordinance. Enhanced deduction – section 16B (R&D type B) Full deduction – section 16B (R&D type A), Section 16C, section 16E, section 16G, section 16I Deduction 20% p.a. – section 16A, section 16 EA, section 16F, section 16I Maximum $18,000 p.a – Section 16AA
Understanding Your CP216F Notice Internal Revenue Service
WebSection 16F - Expenditure on Building Refurbishment 36 Introduced in 1996 / 97 , applies to expenditure on hotel refurbishment only In respect of capital expenditure incurred on the renovation or refurbishment of a commercial building used as a hotel Deduction in equal installment over 5 years of assessment ( 20 % per year ) Not applicable to … WebApr 29, 2024 · Reference in Inland Revenue Ordinance (“IRO”) Section 52(5) IR56G. If your employee is a foreigner and he/she is leaving Hong Kong after the cessation of employment, you will need to submit this form on their behalf. Submission period. No later than one month before the employee’s departure from Hong Kong. Know that you will have to file ... sharing voice memo from iphone
Departmental Interpretation And Practice Notes - No
WebIt follows that depreciation allowances cannot be claimed in relation to expenditure which qualifies for deduction under, for example, section 16B (in respect of research and development), 16F (on building refurbishment), 16G (on the provision of a prescribed fixed asset) or 16I (in relation to environmental protection facilities, which include … WebOct 15, 2024 · The IRD views that deduction of expenses is governed under Sections 16 and 17 of the Inland Revenue Ordinance (IRO). The old standard provided a broader range of pre-contract costs to be capitalized when it was probable that the contract would be obtained. WebMr Wong advised that following from (i) above that section 16B(1)(b) referred to a taxpayer‟s expenditure on in-house R&D activities, the phrase “incurred outside Hong Kong” in sub-section (2) referred to the expenditure on R&D activities which were carried out by the taxpayer outside Hong Kong, e.g. where the taxpayer set up pop settings for outlook mail