PR Urgent - Press Release News Wire
 
Sat, 25 May 2013 02:49:37 -0500
Home
Recent News
PR Categories
PR Writing Tips
PR Dont's
Sample Releases
Submit Press Release
Archives
Contact us
Hire a PR Writer
Register FREE
Login
Advertise



Arts
Business
Computers
Education
Entertainment
Events
Finance
Internet
Medicine
Real Estate
Society
Sports
Technology
Travel

Submit a Press Release FREE !


Register FREE !





Hong Kong Allows Deduction on Specified Intellectual Property Rights

Release Date: 2012-08-29
Category: Business
 
Add to GoogleMy Yahoo News
 

Hong Kong’s Inland Revenue Department (IRD) has clarified that capital expenditure incurred by companies doing business in Hong Kong on the purchase of patents and know-how can also be deemed to include capital expenditure on the purchase of copyrights, registered designs and registered trademarks.

FOR IMMEDIATE RELEASE / PRURGENT

(Sunnyvale, CA)- Hong Kong’s Inland Revenue Department (IRD) has clarified that capital expenditure incurred by companies doing business in Hong Kong on the purchase of patents and know-how can also be deemed to include capital expenditure on the purchase of copyrights, registered designs and registered trademarks. In a recently released notice the department also noted that capital expenditure incurred for the purchase of copyrights, registered designs and registered trademarks is deductible in equal installments over five years, commencing from the year of purchase.

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.

For more information on this topic email medianair-co.com
Get the latest press releases and updates on international tax, HR, Finance, compliance and other legal news at Nair & Co. Industry Alerts.

 
Contact Info
Nair & Co.
Nair & Co.
1250 Oakmead Parkway, Suite 210
Sunnyvale, CA 94085, U.S

Phone: +1 408.515.6887

Website: http://www.nair-co.com