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2022-11-25
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《毕马威(KPMG):境外投资者通过QFI、ETF通投资A股权益类资产之税费评估(2022)(英文版)(10页).pdf》由会员分享,可在线阅读,更多相关《毕马威(KPMG):境外投资者通过QFI、ETF通投资A股权益类资产之税费评估(2022)(英文版)(10页).pdf(10页珍藏版)》请在三个皮匠报告文库上搜索。
1、 analysis of A-share equity investments through the QFI mechanism and Stock Connect for offshore investors outside the Chinese MainlandCurrently,the capital market in the Chinese Mainland is not fully open.For offshore investors,they need to invest in the mainland capital market through specified ch
2、annels.Under the existing connectivity regimes between the Chinese Mainland and Hong Kong SAR,offshore investors are able to invest in mainland financial markets through the Qualified Foreign Institutional Investor(QFI)mechanism,Shanghai-Hong Kong Stock Connect(Stock Connect),Bond Connect and Mutual
3、 Recognition of Funds.In June 2022,the China Securities Regulatory Commission(CSRC)issued the Announcement on the Inclusion of Exchange Traded Funds(ETFs)into Stock Connect1,which allowed investors from the Chinese Mainland and Hong Kong to trade the eligible shares and ETFs listed on each others ex
4、change through local securities companies or brokers,providing an additional channel for offshore investors to invest in A-shares.In addition to the traditional QFI channel,offshore investors may gain equity exposure in the Chinese Mainland by investing in ETFs through Northbound Stock Connect.Tax c
5、osts directly impact the returns of investors.For offshore investors who invest in A-shares equity assets,the tax implications under different investment channels could vary.In this article we set out the analysis and comparison of the tax costs through the QFI channel and Stock Connect(specifically
6、 the Northbound ETFs Investments).1 Announcement on the Inclusion of Exchange Traded Funds into Stock Connect(CSRC Announcement 2022 No.39)2Tax analysis of A-share equity investments through the QFI mechanism and Stock Connect for offshore investors outside the Chinese Mainland 2022 KPMG Advisory(Ch
7、ina)Limited,a limited liability company in Chinese Mainland and a member firm of the KPMG global organisation of independent member firms affiliated with KPMG International Limited,a private English company limited by guarantee.All rights reserved.Generally speaking,there are two types of income inv
8、olved for investments through the QFI mechanism and ETF investments through Stock Connect,i.e.income upon distribution2 and income upon transfer.Under the prevailing tax system in China,these incomes would generally trigger Value Added Tax(“VAT”),income tax(Individual Income Tax(“IIT”)applies to ind
9、ividual investors,while Corporate Income Tax(“CIT”)applies to institutional investors)and Stamp Duty(“SD”).VAT is an indirect tax charged on the value added to the goods and services arising from transactions.On 1 May 2016,China launched VAT reform to all industries.Based on the regulations set out
10、in the Notice of the Ministry of Finance and the State Administration of Taxation on the Launch of the Pilot Scheme on Levying Value Added Tax in Place of Business Tax3(Cai Shui 2016 No.36,hereinafter“Circular 36”),entities and individuals engaging in the sale of services/goods,intangible assets or
11、immovables within the territory of the Peoples Republic of China4(hereinafter called“within China“)shall be VAT taxpayers.CIT is an income tax charged on the business operation income and other income generated by enterprises and other organisations that derive income in/from China.The taxable incom
12、e of an enterprise shall be the balance amount of total revenue of the enterprise recognised in each tax year less various deductible items and recoverable tax loss incurred in prior years.The taxable revenue mainly includes revenue derived from the sale of goods,service provisions,interest income a
13、nd investment gains;various deductions include costs,expenses,taxes and losses incurred by an enterprise.Under the PRC CIT framework,PRC tax residents shall pay CIT at the rate of 25%for domestic and overseas income.Offshore investors,generally non-PRC resident taxpayers under the CIT framework,shal
14、l pay CIT for the income derived from China in accordance with the Corporate Income Tax Law of the Peoples Republic of China.VATCITIn accordance with the Stamp Duty Law of the Peoples Republic of China,entities and individuals who conclude taxable documents and conduct securities transactions within
15、 China shall be taxpayers of stamp duty.According to Stamp Duty Law,”securities transactions“refer to the transfer of stocks and stock-based depository receipts traded on the stock exchanges.The stamp duty for a securities trade is levied on the transferor of securities instead of the transferee.The
16、 stamp duty payable amount shall be calculated based on dutiable document amount multiplied by an applicable stamp duty rate.IIT is an income tax charged on various taxable incomes derived by individuals.Similar to CIT,IIT taxpayers include both resident and non-resident taxpayers based on the exist
17、ence of a domicile and duration of residence.Non-resident individual refers to a taxpayer who does not meet the criteria(conditions)of being a tax resident,and shall bear limited tax obligations,and pay IIT only for income derived from China.As defined in the Individual Income Tax Law of the Peoples
18、 Republic of China,non-resident individuals refer to“individuals who neither have a domicile nor reside in China,or individuals who do not have a domicile in China but reside in China for less than 183 days cumulatively within a tax year”.IITSD2 Income upon distribution mentioned herein refers to th
19、e Chinese Mainland sourced dividends and other income during holding of A-shares equity assets.3 Notice of the Ministry of Finance and the State Administration of Taxation on the Launch of the Pilot Scheme on Levying Value-added Tax in Place of Business Tax(Cai Shui 2016 No.36)4 As defined in the cu
20、rrent tax law,the“territory of the People s Republic of China”shall refer to the Chinese Mainland only,and exclude Hong Kong SAR,Macao SAR and Taiwan.Overall tax rules Where the non-resident enterprise has no establishment or place(“E&P”)in China,or the enterprise with E&P in China but the income so
21、 derived in China is not effectively connected with their E&P,CIT shall be reported by the non-PRC resident enterprise for income derived from China at the rate of 10%.3Tax analysis of A-share equity investments through the QFI mechanism and Stock Connect for offshore investors outside the Chinese M
22、ainland 2022 KPMG Advisory(China)Limited,a limited liability company in Chinese Mainland and a member firm of the KPMG global organisation of independent member firms affiliated with KPMG International Limited,a private English company limited by guarantee.All rights reserved.Tax typeDistribution in
23、comeTransfer incomeApplicable tax ruleStock ConnectQFIStock ConnectQFIVATNon-taxableNon-taxableExemptExemptCai Shui 2016 No.36CITDividends income at 10%Dividends income at 10%Temporarily exempted on capital gains derived from transferTemporarily exempted on capital gains from transfer of equity asse
24、tsGuo Shui Han 2009 No.47Cai Shui 2014 No.79Cai Shui 2015 No.125Ministry of Finance,State Administration of Taxation and CSRC Announcement 2022 No.24IITN/AN/ASDNon-taxableNon-taxableNon-taxable1 on transaction proceedsStamp Duty Law of the Peoples Republic of ChinaTax costs arising from investments
25、through Stock Connect and QFI Under the prevailing tax regimes in China,Chinese tax authorities issued multiple tax rules and regulations regarding the above-mentioned investment channels.The analysis and comparison of China tax costs arising from investments in the A-shares equity market through th
26、e Northbound Stock Connect and QFI mechanism are set out as follows.Note:The above tax analysis and comparison are based on the assumptions that(1)the offshore investor is not a PRC tax resident,and has no E&P in China or has E&P in China but the income so derived in China is not effectively connect
27、ed with their E&P;(2)preferential treatment of tax treaties/agreement signed between China and other jurisdictions are not considered;(3)The categorisation of distribution income arising from investment through Stock Connect or QFI is not dependent on the nature of investment(i.e.capital preservatio
28、n).Note that in practice,as the tax treatment for the direct investment in ETFs through QFI has not been clarified under the prevailing tax regulations,investors should carefully analyse and assess the tax impact before making any investment decisions.4Tax analysis of A-share equity investments thro
29、ugh the QFI mechanism and Stock Connect for offshore investors outside the Chinese Mainland 2022 KPMG Advisory(China)Limited,a limited liability company in Chinese Mainland and a member firm of the KPMG global organisation of independent member firms affiliated with KPMG International Limited,a priv
30、ate English company limited by guarantee.All rights reserved.The relevant rules on the above-mentioned tax treatments are summmarised as follows.VAT01As set out in Circular 36,if the income derived by the investor upon distribution does not fall within the definition of loan services,the distributio
31、n income derived during the investment holding period shall not be subject to VAT.Pursuant to Circular 36,the transfer of financial products shall be subject to VAT.Pursuant to Article 1.22 of Appendix 3 of Circular 36-Provision on the Transitional Policies Concerning the Pilot Scheme on Levying Val
32、ue-added Tax in Place of Business Tax,the following financial products transfer income shall be VAT exempted:“Qualified Foreign Institutional Investors(QFII)entrusting a domestic company to engage in securities trading in China”,“Trading of Chinese Mainland fund units by Hong Kong market investors(i
33、ncluding enterprises and individuals)through mutual recognition of funds”and“Transfer of financial products by individuals”.Upon distribution Upon transfer 5Tax analysis of A-share equity investments through the QFI mechanism and Stock Connect for offshore investors outside the Chinese Mainland 2022
34、 KPMG Advisory(China)Limited,a limited liability company in Chinese Mainland and a member firm of the KPMG global organisation of independent member firms affiliated with KPMG International Limited,a private English company limited by guarantee.All rights reserved.In respect of income tax,the invest
35、ors shall be categorised as taxpayers who are subject to IIT(e.g.individual investors who trade via Stock Connect)and taxpayers who are subject to CIT(e.g.institutional investors).2.1 CITIncome Tax02 Pursuant to Article 1 and 2 of the Notice from the State Administration of Taxation on Relevant Issu
36、es Regarding the Withholding of Corporate Income Tax on Dividends and Interests Paid by PRC Resident Enterprises to QFII5(Guo Shui Han 2009 No.47),dividends and interests income derived by QFII from China shall be subject to CIT at the rate of 10%according to the Corporate Income Tax Law.In respect
37、of dividends,the payer of the dividends shall be responsible for withholding CIT;in respect of interests,the CIT shall be withheld by the enterprise at the time when the interest payment is made or becomes due.In addition,where a QFII is entitled to tax treaty benefits,relevant application could be
38、submitted to the in-charge tax authority,and the tax authority shall assess the eligibility of enjoying benefits in accordance with the applicable tax treaty after the application is reviewed;Where a tax refund is concerned,it shall be processed in a timely manner.However,for other types of distribu
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